S e a g i r t B o u l e v a r d R e z o n i n g s -
B e a c h 1 3 t h S t r e e t S i t e &
F e r n s i d e P l a c e S i t e
Environmental Assessment Statement
C E Q R # 1 6 DCP 1 33 Q
L e a d Ag e n c y : N e w Y o r k C i t y D e p a r t m e n t o f C i t y P l a n n i n g ( D C P )
P r e p a r e d f o r :
G l e i t m a n R e a l t y As s o c i a t e s
P r e p a r e d b y :
P h i l i p H a b i b & A s s o c i a t e s
M a y 2 0 , 2 0 1 6
Seagirt Boulevard Rezonings –
Beach 13th Street Site & Fernside Place Site
Environmental Assessment Statement
Table of Contents
Environmental Assessment Statement (EAS) ............................................................... Form
Project Description.......................................................................................... Attachment A
Supplemental Screening.................................................................................. Attachment B
Land Use, Zoning, and Public Policy ............................................................. Attachment C
Shadows .......................................................................................................... Attachment D
Urban Design and Visual Resources............................................................... Attachment E
Water and Sewer Infrastructure ....................................................................... Attachment F
Air Quality ...................................................................................................... Attachment G
Appendices
Appendix I: WRP Consistency Assessment Form
Appendix II: LPC Determination Letter
Appendix III: Jamaica Bay Watershed
Appendix IV: Hazardous Materials
Appendix V: Travel Demand Forecast Memorandum
ENVIRONMENTAL ASSESSMENT STATEMENT
FORM
EAS SHORT FORM PAGE 1
City Environmental Quality Review ENVIRONMENTAL ASSESSMENT STATEMENT (EAS) SHORT FORM FOR UNLISTED ACTIONS ONLY Please fill out and submit to the appropriate agency (see instructions)
Part I: GENERAL INFORMATION
1. Does the Action Exceed Any Type I Threshold in 6 NYCRR Part 617.4 or 43 RCNY §6-15(A) (Executive Order 91 of 1977, as amended)? YES NO
If “yes,” STOP and complete the FULL EAS FORM.
2. Project Name Seagirt Boulevard Rezonings - Beach 13th Street Site & Fernside Place Site
3. Reference Numbers CEQR REFERENCE NUMBER (to be assigned by lead agency)
16DCP133Q BSA REFERENCE NUMBER (if applicable)
ULURP REFERENCE NUMBER (if applicable)
160033ZMQ, 160351ZMQ
OTHER REFERENCE NUMBER(S) (if applicable)
(e.g., legislative intro, CAPA)
4a. Lead Agency Information NAME OF LEAD AGENCY
New York City Department of City Planning (DCP)
4b. Applicant Information NAME OF APPLICANT
Gleitman Realty Associates NAME OF LEAD AGENCY CONTACT PERSON
Robert Dobruskin, AICP , Director, EARD NAME OF APPLICANT’S REPRESENTATIVE OR CONTACT PERSON
Francis Gleitman and Barbara Samuels
ADDRESS 120 Broadway ADDRESS 124 Cerdarhurst Avenue
CITY New York STATE NY ZIP 10271 CITY Cedarhust STATE NY ZIP 11516
TELEPHONE 212-720-3420 EMAIL [email protected]
TELEPHONE 516-569-1888
EMAIL [email protected]
5. Project Description The applicant, Gleitman Realty Associates, is seeking two related zoning map amendments (the "proposed actions") to facilitate the development of two sites located on Seagirt Boulevard in the Far Rockaways neighborhood of Queens Community District (CD) 14. The first rezoning action (ULURP No. 16033ZMQ) would map a C1-3 commercial overlay over an existing R5 district on Queens Block 15620, Lots 1 and 11 (the "Beach 13th Street Site"). This action would facilitate a proposal by the applicant to develop the Beach 13th Street Site with a 6,394-gsf single-story retail building and a surface parking lot comprised of 16 accessory parking spaces. The second rezoning action (ULURP No. 160351ZMQ) would rezone Queens Block 15784, Lot 1 (the "Fernside Place Site") from R4-1 to R5 and would facilitate a proposal by the applicant to develop this site with two freestanding buildings: a 5,629-gsf single-story retail building fronting on Seagirt Boulevard and a five-story 31,850-gsf multi-family residential building with 27 dwelling units fronting on Watjean Court. The proposed retail building would have 14 at-grade accessory parking spaces, and the proposed residential building would have a 29-space accessory parking lot accessed on Watjean Court. The analysis year is 2018. Absent the two proposed rezoning actions, it is assumed that the Beach 13th Street Site and the Fernside Place Site would continue to be vacant, as under existing conditions.
Project Location
BOROUGH Queens COMMUNITY DISTRICT(S) 14 STREET ADDRESS Fernside Place Site: 24-00 Seagirt Boulevard; Beach 13th Street Site: Seagirt Boulevard
TAX BLOCK(S) AND LOT(S) Block 15620, Lots 1 & 11; Block 15784 Lot 1
ZIP CODE 11691
DESCRIPTION OF PROPERTY BY BOUNDING OR CROSS STREETS Fernside Place Site: bounded by Seagirt Boulevard to the south, Fernside Place to the east, and Watjean Court to the north; Beach 13th Street Site: bounded by Seagirt Boulevard to the south, Beach 12th Street to the east, Heyson Road to the north, and Beach 13th Street to the west EXISTING ZONING DISTRICT, INCLUDING SPECIAL ZONING DISTRICT DESIGNATION, IF ANY Fernside Place Site: R4-1; Beach 13th Street Site: R5
ZONING SECTIONAL MAP NUMBER 31a
6. Required Actions or Approvals (check all that apply)
City Planning Commission: YES NO UNIFORM LAND USE REVIEW PROCEDURE (ULURP)
EAS SHORT FORM PAGE 2
CITY MAP AMENDMENT ZONING CERTIFICATION CONCESSION ZONING MAP AMENDMENT ZONING AUTHORIZATION UDAAP ZONING TEXT AMENDMENT ACQUISITION—REAL PROPERTY REVOCABLE CONSENT SITE SELECTION—PUBLIC FACILITY DISPOSITION—REAL PROPERTY FRANCHISE HOUSING PLAN & PROJECT OTHER, explain: SPECIAL PERMIT (if appropriate, specify type: modification; renewal; other); EXPIRATION DATE:
SPECIFY AFFECTED SECTIONS OF THE ZONING RESOLUTION
Board of Standards and Appeals: YES NO
VARIANCE (use) VARIANCE (bulk)
SPECIAL PERMIT (if appropriate, specify type: modification; renewal; other); EXPIRATION DATE:
SPECIFY AFFECTED SECTIONS OF THE ZONING RESOLUTION
Department of Environmental Protection: YES NO If “yes,” specify:
Other City Approvals Subject to CEQR (check all that apply) LEGISLATION FUNDING OF CONSTRUCTION, specify: RULEMAKING POLICY OR PLAN, specify: CONSTRUCTION OF PUBLIC FACILITIES FUNDING OF PROGRAMS, specify: 384(b)(4) APPROVAL PERMITS, specify: OTHER, explain:
Other City Approvals Not Subject to CEQR (check all that apply)
PERMITS FROM DOT’S OFFICE OF CONSTRUCTION MITIGATION AND
COORDINATION (OCMC) LANDMARKS PRESERVATION COMMISSION APPROVAL
OTHER, explain:
State or Federal Actions/Approvals/Funding: YES NO If “yes,” specify:
7. Site Description: The directly affected area consists of the project site and the area subject to any change in regulatory controls. Except
where otherwise indicated, provide the following information with regard to the directly affected area. Graphics: The following graphics must be attached and each box must be checked off before the EAS is complete. Each map must clearly depict
the boundaries of the directly affected area or areas and indicate a 400-foot radius drawn from the outer boundaries of the project site. Maps may not exceed 11 x 17 inches in size and, for paper filings, must be folded to 8.5 x 11 inches.
SITE LOCATION MAP ZONING MAP SANBORN OR OTHER LAND USE MAP TAX MAP FOR LARGE AREAS OR MULTIPLE SITES, A GIS SHAPE FILE THAT DEFINES THE PROJECT SITE(S)
PHOTOGRAPHS OF THE PROJECT SITE TAKEN WITHIN 6 MONTHS OF EAS SUBMISSION AND KEYED TO THE SITE LOCATION MAP
Physical Setting (both developed and undeveloped areas)
Total directly affected area (sq. ft.): 47,589 Waterbody area (sq. ft) and type: 0 Roads, buildings, and other paved surfaces (sq. ft.): 0 Other, describe (sq. ft.): 47,589 (vacant softscape)
8. Physical Dimensions and Scale of Project (if the project affects multiple sites, provide the total development facilitated by the action) SIZE OF PROJECT TO BE DEVELOPED (gross square feet): Approx. 43,873 (Beach 13th Street Site and Fernside Place Site, combined)
NUMBER OF BUILDINGS: 3 GROSS FLOOR AREA OF EACH BUILDING (sq. ft.): Fernside Place Site Residential Building: 31,850 gsf; Fernside Place Site Retail Building: 5,629 gsf; Beach 13th Street Site Retail Building: 6,394 gsf
HEIGHT OF EACH BUILDING (ft.): Fernside Place Site Residenital Building: 40'; Fernside Place Site Retail Building: 15'; Beach 13th Street Site Retail Building: 15'
NUMBER OF STORIES OF EACH BUILDING: Fernside Place Site Residenital Building: 5 stories; Fernside Place Site Retail Building: 1 story; Beach 13th Street Site Retail Building: 1 story
Does the proposed project involve changes in zoning on one or more sites? YES NO If “yes,” specify: The total square feet owned or controlled by the applicant: 47,589 The total square feet not owned or controlled by the applicant: 0 Does the proposed project involve in-ground excavation or subsurface disturbance, including, but not limited to foundation work, pilings, utility
lines, or grading? YES NO If “yes,” indicate the estimated area and volume dimensions of subsurface permanent and temporary disturbance (if known):
15649
15824
15810
1578015634
15815
15638
15636 1563315622
15819
15631
15627
15637
15767
15629
15624
15770
15771
1576815774
15800
15632
15782
1562815772
1561615776
15615
15772
15613
15617
15773
15626
15598
15817
15629
15818
15614
15625
15815
15781
15619 15618
15600
15784
15790
15783
15775
15802 15801
15599
15769 15597
15620
156211562215766
15820
15566
1560515799
15789
SEAGIRT BLVDBOARDWALK
BE
AC
H 1
9 S
T
BEAC
H 1
7 ST
CAMP RD
BEACH
9 ST
BEACH
20 ST
BE
AC
H 1
3 S
T
HEYSON RD
PLAINVIEW AV
FER
NSI
DE
PL
ELK DR
BEACH
27 ST
COLLIER AV
BE
AC
H 1
2 S
T
CR
EST RD
BRIAR PL
BE
AC
H 1
4 S
T
BEACH
26 ST
NEW HAVEN AV
BEACH
24 ST
BEACH
25 ST
BE
AC
H 1
5 S
T
BROOKHAVEN AV
MEEHAN AV
SEAGIRT AV
LANETT AV
WATJEAN CT
BEAC
H 1
6 ST
BOARDWALK
PLAINVIEW AV
Seagirt Boulevard Rezonings EAS Figure 1Site Location Map
°0 200 400 600 800Feet
LegendDevelopment Sites
400-Foot Radii
Photo Locations (refer to Figure 3a and 3b)
Tax Blocks
Queens
Brooklyn
Staten
Islan
d
Manha
ttan
TheBronx
Project Area
12 34
1
15784
56
78
Seagirt Boulevard Rezonings EAS Figue 2aFernside Place Site - Block 15784 (Lot 1)
C
C
C
C
C
C C
C
C C
C
CC
C
C
15784
15783 15782
195.26
168.75
130.1
155.52
35
30
67.06
67.39
66.65
65.92
65.18
64.45
60.88
56.12
NA
34.5
41.19
40.73
30.1
36.38
33.87
32.39
29.95
28.6422.42
11.07
6.16
30
22.42
65.18
65.92
30
60.88
NA
30
66.65
NA
NA
1
31
25
29
26
28
33
22
20
WATJEAN CT
HIGHLAND CT
SEAGIRT BLVD
FERNSIDE PL
Street W
idening 213.04
Street Widening 121.51
Street W
idening 230.9 Street Widening 118.74
Street Widening 112.42
NYC Digital Tax Map.
0 10 20 30 405Feet
Legend
StreetsMiscellaneous Text
C Possession HooksBoundary Lines
C Lot Face Possession HooksRegular
UnderwaterTax Lot PolygonCondo NumberTax Block Polygon
Queens Block: 15784
Effective Date : 12-09-2008 01:45:18End Date : Current
Seagirt Boulevard Rezonings EAS Figure 2bBeach 13th Street Site- Block 15620
15620
15619
210
228.19
107
98.17
86.26
38.9
1
10
38.9
1
1
11
HEYSON RD
SEAGIRT BLVD
BEA
CH
12
ST
SEAGIRT BLVD
NYC Digital Tax Map.
0 5 10 15 202.5Feet
Legend
StreetsMiscellaneous Text
C Possession HooksBoundary Lines
C Lot Face Possession HooksRegular
UnderwaterTax Lot PolygonCondo NumberTax Block Polygon
Queens Block: 15620
Effective Date : 12-09-2008 00:37:13End Date : Current
EASsgninozeRdraveluoBtrigaeS Figure 3a Fernside Place Site - Site Photos
1. View northwest along Seagird Boulevard through Fernside Pl.site. Residences along Highland Court visible in background.
2. View northwest through Fernside Pl. sitefrom Seagird Boulevard.
3. View north through Fernside Pl. site from Fernside Place.
Residences along Watjean Court visible in background.
4. View northeast along Fernside Court. Fernside Pl. site onleft. Residences along Fernside Place visible
in background.
Figure 3bEASsgninozeRdraveluoBtrigaeS
Beach 13th Street Site - Site Photos
5. View southwest along Heyson Road through Beach 13th St.site. Residences along Beach 13th Street visible in background.
6. View south through Beach 13th St. Site from Heyson Road.
7. View east along Heyson Road. Beach 13th St. site onright. Multi-family residential buildings on Seagirt
Avenue visible in background.
8. View south through Beach 13th St. site from
Heyson Road.
Seagirt Boulevard Rezonings EAS Figure 4
Zoning Map
Project Area
SEAGIRT BLVD BOARDWALK
BEAC
H 19
ST
BEAC
H 17
ST
CAMP
RD
COLLIER AV
BEACH 20 ST
HEYSON RD
PLAINVIEW AVFERN
SIDE
PL
BEACH 27 ST
BEAC
H 13
ST
CREST RD
DEERFIELD RD
BEAC
H 14
ST
BEACH 9 ST
BEACH 26 ST
BEAC
H 12
ST
ELK DR
BEACH 24 ST
BEACH 28 ST
BEACH 25 ST
BEAC
H 15
ST
BRIAR PL
EDGEMERE AV
NEW HAVEN AV
MEEHAN AV
WATJEAN CT
BEAC
H 11
ST
SEAGIRT AV
OSTE
ND PL
BEAC
H 16
ST
BEACH 28 ST
SEAGIRT AV
BEACH 25 ST
BEACH 27 ST
BEACH 28 ST
BOARDWALK
PLAINVIEW AV
Seagirt Boulevard Rezonings EAS Figure 5Land Use Map
°0 250 500 750 1,000Feet
LegendDevelopment Sites400-Foot Radii
LandUseOne & Two Family BuildingsMulti-Family Walk-Up Buildings
Multi-Family Elevator BuildingsMixed Residential/CommercialCommercial/Office BuildingsIndustrial/ManufacturingTransportation/Utility
Public Facilities & InstitutionsOpen SpaceParking FacilitiesVacant LandAll Others or No Data
EAS SHORT FORM PAGE 3 AREA OF TEMPORARY DISTURBANCE: TBD sq. ft. (width x length) VOLUME OF DISTURBANCE: TBD cubic ft. (width x length x depth)
AREA OF PERMANENT DISTURBANCE: 14,319 sq. ft. (width x length)
Description of Proposed Uses (please complete the following information as appropriate) Residential Commercial Community Facility Industrial/Manufacturing
Size (in gross sq. ft.) 31,850 12,023 0 0
Type (e.g., retail, office,
school)
27 units Retail N/A N/A
Does the proposed project increase the population of residents and/or on-site workers? YES NO If “yes,” please specify: NUMBER OF ADDITIONAL RESIDENTS: 73 NUMBER OF ADDITIONAL WORKERS: 13
Provide a brief explanation of how these numbers were determined: Residents: based on 2010 Census average of 2.71 persons per houseshold in Queens CD 14; Workers: assumes one residential worker per 25 DU (one residential workers) and one retail worker per 1,000 gsf of retail (approx. 12 retail workers)
Does the proposed project create new open space? YES NO If “yes,” specify size of project-created open space: N/A sq. ft.
Has a No-Action scenario been defined for this project that differs from the existing condition? YES NO
If “yes,” see Chapter 2, “Establishing the Analysis Framework” and describe briefly: N/A
9. Analysis Year CEQR Technical Manual Chapter 2
ANTICIPATED BUILD YEAR (date the project would be completed and operational): 2018
ANTICIPATED PERIOD OF CONSTRUCTION IN MONTHS: 15
WOULD THE PROJECT BE IMPLEMENTED IN A SINGLE PHASE? YES NO IF MULTIPLE PHASES, HOW MANY? N/A
BRIEFLY DESCRIBE PHASES AND CONSTRUCTION SCHEDULE: N/A
10. Predominant Land Use in the Vicinity of the Project (check all that apply) RESIDENTIAL MANUFACTURING COMMERCIAL PARK/FOREST/OPEN SPACE OTHER, specify:
Comparison of 2018 No-Action and With-Action RWCDS Conditions
No-Action With-Action Increment
Land Use
Vacant Land 46,609 sf 0 -46,409 sf
Residential 0 31,850 gsf (27 DU) +31,850 gsf (+27 DU)
Commercial (Retail) 0 12,023 gsf +12,023 gsf
Total Building Floor Area 0 43,873 gsf +43,873 gsf
Surface Parking Spaces 0 59 +59
Population1
Residents 0 73 +73
Workers 0 13 +13
Notes: 1 Population based on the following assumptions: 2.71 persons per household (based on 2010 Census data for Queens
CD 14), one residential employee per 25 DU, and one retail employee per 1,000 gsf of retail.
EAS SHORT FORM PAGE 4
Part II: TECHNICAL ANALYSIS
INSTRUCTIONS: For each of the analysis categories listed in this section, assess the proposed project’s impacts based on the thresholds and
criteria presented in the CEQR Technical Manual. Check each box that applies.
If the proposed project can be demonstrated not to meet or exceed the threshold, check the “no” box.
If the proposed project will meet or exceed the threshold, or if this cannot be determined, check the “yes” box.
For each “yes” response, provide additional analyses (and, if needed, attach supporting information) based on guidance in the CEQR Technical Manual to determine whether the potential for significant impacts exists. Please note that a “yes” answer does not mean that an EIS must be prepared—it means that more information may be required for the lead agency to make a determination of significance.
The lead agency, upon reviewing Part II, may require an applicant to provide additional information to support the Short EAS Form. For example, if a question is answered “no,” an agency may request a short explanation for this response.
YES NO
1. LAND USE, ZONING, AND PUBLIC POLICY: CEQR Technical Manual Chapter 4
(a) Would the proposed project result in a change in land use different from surrounding land uses?
(b) Would the proposed project result in a change in zoning different from surrounding zoning?
(c) Is there the potential to affect an applicable public policy?
(d) If “yes,” to (a), (b), and/or (c), complete a preliminary assessment and attach. See Attachment C
(e) Is the project a large, publicly sponsored project?
o If “yes,” complete a PlaNYC assessment and attach. N/A
(f) Is any part of the directly affected area within the City’s Waterfront Revitalization Program boundaries?
o If “yes,” complete the Consistency Assessment Form. See Appendix I
2. SOCIOECONOMIC CONDITIONS: CEQR Technical Manual Chapter 5
(a) Would the proposed project:
o Generate a net increase of 200 or more residential units? o Generate a net increase of 200,000 or more square feet of commercial space? o Directly displace more than 500 residents? o Directly displace more than 100 employees? o Affect conditions in a specific industry?
3. COMMUNITY FACILITIES: CEQR Technical Manual Chapter 6
(a) Direct Effects
o Would the project directly eliminate, displace, or alter public or publicly funded community facilities such as educational facilities, libraries, hospitals and other health care facilities, day care centers, police stations, or fire stations?
(b) Indirect Effects
o Child Care Centers: Would the project result in 20 or more eligible children under age 6, based on the number of low or low/moderate income residential units? (See Table 6-1 in Chapter 6)
o Libraries: Would the project result in a 5 percent or more increase in the ratio of residential units to library branches? (See Table 6-1 in Chapter 6)
o Public Schools: Would the project result in 50 or more elementary or middle school students, or 150 or more high school students based on number of residential units? (See Table 6-1 in Chapter 6)
o Health Care Facilities and Fire/Police Protection: Would the project result in the introduction of a sizeable new neighborhood?
4. OPEN SPACE: CEQR Technical Manual Chapter 7
(a) Would the proposed project change or eliminate existing open space?
(b) Is the project located within an under-served area in the Bronx, Brooklyn, Manhattan, Queens, or Staten Island?
o If “yes,” would the proposed project generate more than 50 additional residents or 125 additional employees?
(c) Is the project located within a well-served area in the Bronx, Brooklyn, Manhattan, Queens, or Staten Island?
o If “yes,” would the proposed project generate more than 350 additional residents or 750 additional employees? (d) If the project in located an area that is neither under-served nor well-served, would it generate more than 200 additional
residents or 500 additional employees?
EAS SHORT FORM PAGE 5
YES NO
5. SHADOWS: CEQR Technical Manual Chapter 8 (a) Would the proposed project result in a net height increase of any structure of 50 feet or more? (b) Would the proposed project result in any increase in structure height and be located adjacent to or across the street from a
sunlight-sensitive resource?
6. HISTORIC AND CULTURAL RESOURCES: CEQR Technical Manual Chapter 9 (a) Does the proposed project site or an adjacent site contain any architectural and/or archaeological resource that is eligible
for or has been designated (or is calendared for consideration) as a New York City Landmark, Interior Landmark or Scenic Landmark; that is listed or eligible for listing on the New York State or National Register of Historic Places; or that is within a designated or eligible New York City, New York State or National Register Historic District? (See the GIS System for Archaeology and National Register to confirm)
(b) Would the proposed project involve construction resulting in in-ground disturbance to an area not previously excavated? (c) If “yes” to either of the above, list any identified architectural and/or archaeological resources and attach supporting information on
whether the proposed project would potentially affect any architectural or archeological resources. See Attachment B
7. URBAN DESIGN AND VISUAL RESOURCES: CEQR Technical Manual Chapter 10
(a) Would the proposed project introduce a new building, a new building height, or result in any substantial physical alteration to the streetscape or public space in the vicinity of the proposed project that is not currently allowed by existing zoning?
(b) Would the proposed project result in obstruction of publicly accessible views to visual resources not currently allowed by existing zoning?
8. NATURAL RESOURCES: CEQR Technical Manual Chapter 11
(a) Does the proposed project site or a site adjacent to the project contain natural resources as defined in Section 100 of Chapter 11?
o If “yes,” list the resources and attach supporting information on whether the proposed project would affect any of these resources.
(b) Is any part of the directly affected area within the Jamaica Bay Watershed?
o If “yes,” complete the Jamaica Bay Watershed Form, and submit according to its instructions. See Appendix III
9. HAZARDOUS MATERIALS: CEQR Technical Manual Chapter 12 (a) Would the proposed project allow commercial or residential uses in an area that is currently, or was historically, a
manufacturing area that involved hazardous materials?
(b) Does the proposed project site have existing institutional controls (e.g., (E) designation or Restrictive Declaration) relating to hazardous materials that preclude the potential for significant adverse impacts?
(c) Would the project require soil disturbance in a manufacturing area or any development on or near a manufacturing area or existing/historic facilities listed in Appendix 1 (including nonconforming uses)?
(d) Would the project result in the development of a site where there is reason to suspect the presence of hazardous materials, contamination, illegal dumping or fill, or fill material of unknown origin?
(e) Would the project result in development on or near a site that has or had underground and/or aboveground storage tanks (e.g., gas stations, oil storage facilities, heating oil storage)?
(f) Would the project result in renovation of interior existing space on a site with the potential for compromised air quality; vapor intrusion from either on-site or off-site sources; or the presence of asbestos, PCBs, mercury or lead-based paint?
(g) Would the project result in development on or near a site with potential hazardous materials issues such as government-listed voluntary cleanup/brownfield site, current or former power generation/transmission facilities, coal gasification or gas storage sites, railroad tracks or rights-of-way, or municipal incinerators?
(h) Has a Phase I Environmental Site Assessment been performed for the site? o If “yes,” were Recognized Environmental Conditions (RECs) identified? Briefly identify: See Attachment B
10. WATER AND SEWER INFRASTRUCTURE: CEQR Technical Manual Chapter 13
(a) Would the project result in water demand of more than one million gallons per day? (b) If the proposed project located in a combined sewer area, would it result in at least 1,000 residential units or 250,000
square feet or more of commercial space in Manhattan, or at least 400 residential units or 150,000 square feet or more of commercial space in the Bronx, Brooklyn, Staten Island, or Queens?
(c) If the proposed project located in a separately sewered area, would it result in the same or greater development than the amounts listed in Table 13-1 in Chapter 13?
(d) Would the proposed project involve development on a site that is 5 acres or larger where the amount of impervious surface would increase?
(e) If the project is located within the Jamaica Bay Watershed or in certain specific drainage areas, including Bronx River, Coney Island Creek, Flushing Bay and Creek, Gowanus Canal, Hutchinson River, Newtown Creek, or Westchester Creek, would it involve development on a site that is 1 acre or larger where the amount of impervious surface would increase?
EAS SHORT FORM PAGE 6
YES NO
(f) Would the proposed project be located in an area that is partially sewered or currently unsewered? (g) Is the project proposing an industrial facility or activity that would contribute industrial discharges to a Wastewater
Treatment Plant and/or generate contaminated stormwater in a separate storm sewer system?
(h) Would the project involve construction of a new stormwater outfall that requires federal and/or state permits?
11. SOLID WASTE AND SANITATION SERVICES: CEQR Technical Manual Chapter 14 (a) Using Table 14-1 in Chapter 14, the project’s projected operational solid waste generation is estimated to be (pounds per week): 2,055
o Would the proposed project have the potential to generate 100,000 pounds (50 tons) or more of solid waste per week? (b) Would the proposed project involve a reduction in capacity at a solid waste management facility used for refuse or
recyclables generated within the City?
12. ENERGY: CEQR Technical Manual Chapter 15
(a) Using energy modeling or Table 15-1 in Chapter 15, the project’s projected energy use is estimated to be (annual BTUs): 6,635,969.9
(b) Would the proposed project affect the transmission or generation of energy?
13. TRANSPORTATION: CEQR Technical Manual Chapter 16
(a) Would the proposed project exceed any threshold identified in Table 16-1 in Chapter 16?
(b) If “yes,” conduct the screening analyses, attach appropriate back up data as needed for each stage and answer the following questions:
o Would the proposed project result in 50 or more Passenger Car Equivalents (PCEs) per project peak hour?
If “yes,” would the proposed project result in 50 or more vehicle trips per project peak hour at any given intersection? **It should be noted that the lead agency may require further analysis of intersections of concern even when a project generates fewer than 50 vehicles in the peak hour. See Subsection 313 of Chapter 16 for more information.
o Would the proposed project result in more than 200 subway/rail or bus trips per project peak hour?
If “yes,” would the proposed project result, per project peak hour, in 50 or more bus trips on a single line (in one direction) or 200 subway trips per station or line?
o Would the proposed project result in more than 200 pedestrian trips per project peak hour?
If “yes,” would the proposed project result in more than 200 pedestrian trips per project peak hour to any given pedestrian or transit element, crosswalk, subway stair, or bus stop?
14. AIR QUALITY: CEQR Technical Manual Chapter 17
(a) Mobile Sources: Would the proposed project result in the conditions outlined in Section 210 in Chapter 17?
(b) Stationary Sources: Would the proposed project result in the conditions outlined in Section 220 in Chapter 17? o If “yes,” would the proposed project exceed the thresholds in Figure 17-3, Stationary Source Screen Graph in Chapter 17?
(Attach graph as needed) See Attach. B & G
(c) Does the proposed project involve multiple buildings on the project site?
(d) Does the proposed project require federal approvals, support, licensing, or permits subject to conformity requirements? (e) Does the proposed project site have existing institutional controls (e.g., (E) designation or Restrictive Declaration) relating to
air quality that preclude the potential for significant adverse impacts?
15. GREENHOUSE GAS EMISSIONS: CEQR Technical Manual Chapter 18
(a) Is the proposed project a city capital project or a power generation plant?
(b) Would the proposed project fundamentally change the City’s solid waste management system?
(c) If “yes” to any of the above, would the project require a GHG emissions assessment based on the guidance in Chapter 18?
16. NOISE: CEQR Technical Manual Chapter 19
(a) Would the proposed project generate or reroute vehicular traffic? (b) Would the proposed project introduce new or additional receptors (see Section 124 in Chapter 19) near heavily trafficked
roadways, within one horizontal mile of an existing or proposed flight path, or within 1,500 feet of an existing or proposed rail line with a direct line of site to that rail line?
(c) Would the proposed project cause a stationary noise source to operate within 1,500 feet of a receptor with a direct line of sight to that receptor or introduce receptors into an area with high ambient stationary noise?
(d) Does the proposed project site have existing institutional controls (e.g., (E) designation or Restrictive Declaration) relating to noise that preclude the potential for significant adverse impacts?
17. PUBLIC HEALTH: CEQR Technical Manual Chapter 20
(a) Based upon the analyses conducted, do any of the following technical areas require a detailed analysis: Air Quality;
Philip Habib, P.E.
ATTACHMENT A
PROJECT DESCRIPTION
A-1
Seagirt Boulevard Rezonings EAS
Attachment A: Project Description
I. INTRODUCTION
Gleitman Realty Associates (the applicant) is proposing the development of two retail buildings and one
residential buildings on two currently vacant parcels along Seagirt Boulevard in the Far Rockaways
neighborhood of Queens Community District (CD) 14 (Queens Block 15784, Lot 1 and Queens Block
15620, Lots 1 and 11). The proposed developments on the two subject parcels would total approximately
43,873 gross square feet (gsf), including approximately 31,850 gsf of residential floor area (27 dwelling
units (DU)), approximately 12,023 gsf of retail floor area, and 59 accessory parking spaces.
In order to develop the proposed project, the applicant, is requesting two related zoning map amendments
(the “proposed actions”). The first rezoning action (ULURP No. 160033ZMQ) would map a C1-3
commercial overlay over an existing R5 district ion Queens Block 15620, Lots 1 and 11 (the “Beach 13th
Street Site). The second rezoning action (ULURP No. 160351ZMQ) would rezone Queens Block 15784,
Lot 1 (the “Fernside Place Site”) from R4-1 to R5 with a C1-3 commercial overlay (to a depth of 100 feet
from Seagirt Boulevard). Thus, the proposed project is subject to environmental review under the State
Environmental Quality Review Act (SEQRA) and City Environmental Quality Review (CEQR) regulations
and guidelines.
This attachment provides a summary and description of the proposed project and its associated reasonable
worst-case development scenario (RWCDS), including existing conditions of the area affected by the
proposed project, purpose and need for the proposed action, description of the proposed action and
associated development scenario, and the discretionary approvals required.
II. EXISTING CONDITIONS
Description of the Development Sites
Fernside Place Site
The approximately 30,216-sf Fernside Place Site is comprised of one through tax lot (Queens Block 15784,
Lot 1). The Fernside Place Site has approximately 170 feet of frontage on Seagirt Boulevard to the south,
approximately 155 feet of frontage on Fernside Place to the east, and approximately 169 feet of frontage
on Watjean Court to the north (See Figure A-1). The remainder of Block 15784 abuts the Fernside Place
Site to the west and is occupied by one- and two-family residential buildings. The southern and eastern
portions of the Fernside Place Site (fronting Seagirt Boulevard and Fernside Place) are located within the
500-year floodplain, which has a 0.2 percent annual chance of flood, according to the preliminary Flood
Insurance Rate Map (FIRM) revised and released by the Federal Emergency Management Agency (FEMA)
in January 2015. As shown in Figure A-2, the Fernside Place Site is currently vacant and is enclosed by a
chain link fence.
The Fernside Place Site was rezoned from R4 to R4-1 under the 2008 Rockaway Neighborhood Rezoning
(CEQR No. 08DCP065Q). The intent of the 2008 Rockaway Neighborhood Rezoning was to preserve the
scale and character of the individual Rockaway neighborhoods and ensure that future residential
development would be consistent with the surrounding neighborhood’s building patterns; no (E)
Seagirt Boulevard Rezonings EAS Figue A-1Fernside Place Site - Block 15784 (Lot 1)
C
C
C
C
C
C C
C
C C
C
CC
C
C
15784
15783 15782
195.26
168.75
130.1
155.52
35
30
67.06
67.39
66.65
65.92
65.18
64.45
60.88
56.12
NA
34.5
41.19
40.73
30.1
36.38
33.87
32.39
29.95
28.6422.42
11.07
6.16
30
22.42
65.18
65.92
30
60.88
NA
30
66.65
NA
NA
1
31
25
29
26
28
33
22
20
WATJEAN CT
HIGHLAND CT
SEAGIRT BLVD
FERNSIDE PL
Street W
idening 213.04
Street Widening 121.51
Street W
idening 230.9 Street Widening 118.74
Street Widening 112.42
NYC Digital Tax Map.
0 10 20 30 405Feet
Legend
StreetsMiscellaneous Text
C Possession HooksBoundary Lines
C Lot Face Possession HooksRegular
UnderwaterTax Lot PolygonCondo NumberTax Block Polygon
Queens Block: 15784
Effective Date : 12-09-2008 01:45:18End Date : Current
EASsgninozeRdraveluoBtrigaeS Figure A-2 Fernside Place Site - Site Photos
1. View northwest along Seagird Boulevard through Fernside Pl.site. Residences along Highland Court visible in background.
2. View northwest through Fernside Pl. sitefrom Seagird Boulevard.
3. View north through Fernside Pl. site from Fernside Place.
Residences along Watjean Court visible in background.
4. View northeast along Fernside Court. Fernside Pl.site onleft. Residences along Fernside Place visible
in background.
Seagirt Boulevard Rezonings EAS Attachment A: Project Description
A-2
designations were assigned to the Fernside Place Site was not identified as a projected or potential
development site in the 2008 Rockaway Neighborhood Rezoning EAS, and no (E) designations were
assigned to the site in conjunction with the rezoning action.
R4-1 zoning districts are contextual residential districts that permit only one- and two-family detached and
semi-detached houses. The maximum permitted residential FAR in R4-1 districts is 0.9 (with a 0.15 attic
allowance) and the maximum community facility FAR of 2.0. As the Fernside Place Site is currently vacant
(FAR 0.0), the Fernside Place Site is underbuilt for the allowable FAR.
Beach 13th Street Site
The approximately 17,373-sf Beach 13th Street Site is comprised of two tax lots (Queens Block 15620, Lots
1 and 11). The Beach 13th Street Site is a narrow triangular block with approximately 326 feet of frontage
along Seagirt Boulevard to the south, approximately ten feet of frontage on Beach 12th Street to the east,
approximately 296 feet of frontage on Heyson Road to the north, and approximately 107 feet of frontage
on Beach 13th Street to the west (See Figure A-3). The entirety of the Beach 13th Street Site is located within
the 100-year floodplain, which has a one percent annual chance of flood, according to the preliminary FIRM
revised and released by FEMA in January 2015.
Seagirt Boulevard is a two-way six lane major roadway with a central planted median and parking on both
sides. Beach 13th Street, Heyson Road, and Beach 12th Street are narrow local roadways; Heyson Road and
Beach 13th Street serve two-way traffic, and the adjacent portion of Beach 12th Street is one-way
southbound. As shown in Figure A-4, the Beach 13th Street Site is currently vacant and is enclosed by a
chain link fence.
Unlike the Fernside Place Site, the Beach 13th Street Site was not within the area rezoned as part of the
2008 Rockaway Neighborhood Rezoning. The Beach 13th Street Site is currently zoned R5. R5 districts
allow a variety of housing and typically produce three- and four-story attached houses and small apartment
houses that provide a transition between lower- and higher-density neighborhoods. The maximum permitted
residential FAR in R5 districts is 1.25 and the maximum community facility FAR of 2.0. As the Beach 13th
Street Site is currently vacant (FAR 0.0), the site is underbuilt for the allowable FAR.
Description of the Surrounding Area
The development sites are located along the north side of Seagirt Boulevard in a well-developed area of the
Far Rockaways that is predominantly residential. Residential uses in the surrounding area include a mix of
one- and two-family detached residences and bungalows, as well as large multi-unit apartment buildings.
Consistent with the residential land uses in the area, zoning in the surrounding area is also primarily
residential; residential zoning districts in the surrounding area range from R3A to R6, which permit
maximum residential FARs of 0.5 to 2.43, respectively. In general, the blocks with existing one- and two-
family detached residences and bungalows were included in the 2008 Rockaway Neighborhood Rezoning
(rezoned to R3A, R4-1, and R4A), with the adjacent blocks characterize by larger multi-unit apartment
buildings excluded from the rezoning area (with their R5 and R6 zoning remaining). A significant number
of the residential buildings in the surrounding area are underbuilt (i.e., do not maximize their permitted
FAR). Within the vicinity of the development sites, commercial overlays are mapped along portions of
Beach 20th Street, Seagirt Avenue, and Seagirt Boulevard.
The primary commercial uses in the surrounding area consist of storefront businesses serving the adjacent
residential area, including laundromats, convenience stores, supermarkets, pharmacies, and restaurants.
Other uses include institutional uses (medical facilities, schools, and religious institutions), and a limited
number of vacant lots. Immediately south of the Beach 13th Street Site is Rockaway Beach and Boardwalk,
Seagirt Boulevard Rezonings EAS Figure A-3Beach 13th Street Site- Block 15620
15620
15619
210
228.19
107
98.17
86.26
38.9
1
10
38.9
1
1
11
HEYSON RD
SEAGIRT BLVD
BEA
CH
12
ST
SEAGIRT BLVD
NYC Digital Tax Map.
0 5 10 15 202.5Feet
Legend
StreetsMiscellaneous Text
C Possession HooksBoundary Lines
C Lot Face Possession HooksRegular
UnderwaterTax Lot PolygonCondo NumberTax Block Polygon
Queens Block: 15620
Effective Date : 12-09-2008 00:37:13End Date : Current
Figure A-4EASsgninozeRdraveluoBtrigaeS
Beach 13th Street Site - Site Photos
5. View southwest along Heyson Road through Beach 13th St.site. Residences along Beach 13th Street visible in background.
6. View south through Beach 13th St. Sitefrom Heyson Road.
7. View east along Heyson Road. Beach 13th St. site onright. Multi-family residential buildings on Seagirt
Avenue visible in background.
8. View south through Beach 13th St. site from
Heyson Road.
Seagirt Boulevard Rezonings EAS Attachment A: Project Description
A-3
which underwent substantial improvements between 2010 and 2012 in conjunction with the PlaNYC Far
Rockaway Park Project. This open space resources includes ball fields, lawns, a skate plaza, ball courts, a
children’s play area, parking, and concession stands.
Several public transportation facilities serve the surrounding area. The 25th Street (A line) Station is located
approximately 0.3 miles to the northwest of the Fernside Place Site and the Far Rockaway-Mott Avenue
(A line) Station is located approximately 0.9 miles to the northwest of the Beach 13th Street Site. The Q22
and Q113 NYC Transit local bus routes and the QM17 NYC Transit express bus route run along Seagirt
Boulevard, along with the N31, N32, and N33 Nassau Inter-County Express (NICE) buses, which connect
the Far Rockaways to Nassau County, to the east.
III. PROPOSED PROJECT
The applicant is proposing to develop the two development sites with a total of approximately 31,850 gsf
of residential floor area (27 DU), approximately 12,023 gsf of retail, and 59 accessory parking spaces. The
proposed developments on the Fernside Place Site and the Beach 13th Street Site, respectively, are presented
in Figures A-5 and A-6 and described below.
Fernside Place Site
The Fernside Place Site would be developed with two freestanding buildings: a 5,629-gsf single-story retail
building fronting on Seagirt Boulevard and a five-story 31,850-gsf multi-family residential building with
27 DU fronting on Watjean Court. The proposed retail building would occupy the northwestern portion of
the Fernside Place Site with 14 at-grade accessory parking spaces accessible via one entrance/exist along
Seagirt Boulevard. The proposed retail building would have a maximum building height of approximately
15 feet.
The proposed residential building would have an approximately 2,326-gsf ground floor footprint
(comprised of the residential lobby), with larger floor plates (5,986 gsf to 7,846 gsf) on the second to fifth
floors (refer to Figure A-5). The residential building’s proposed 29-space accessory parking lot would be
partially covered by the overhanging building footprints from the upper floors and would be accessible via
an exit/entry driveway along Watjean Court.
The proposed Fernside Place Site development would be in accordance with all applicable New York City
Zoning bulk regulations.
Beach 13th Street Site
The applicant is proposing a 6,394-gsf single-story retail development on the Beach 13th Street Site (Block
15620, Lots 1 and 11). The proposed building would occupy the westernmost portion of the project site,
with access from Seagirt Boulevard. The proposed retail building would have a maximum building height
of approximately 15 feet. As presented in Figure A-6, a surface parking lot comprised of 16 accessory
parking spaces would occupy the majority of the project site, with vehicular access via Seagirt Boulevard
mid-block between Beach 12th and Beach 13th Streets. The easternmost portion of the project site would be
improved with trees and landscaping, as required pursuant to zoning (ZR Section 36-56). The proposed
Beach 13th Street Site development would be in accordance with all applicable New York City Zoning bulk
regulations. In addition, as the Beach 13th Street Site falls within the 100-year floodplain, the proposed
Beach 13th Street Site development would be required to meet all applicable New York City Building Code
Seagirt Boulevard Rezonings EAS Figure A-5Fenrside Place Site - Site Plan
For Illustrative Purposes Only
1468NYRF - Mixed-Use Rockaway, NY
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or in part may be made without the express written permission of Zyscovich Architects. All designs indicated in these drawings are the property of Zyscovich Architects.All copyrights reserved ©2013.
September 3, 2015Fernside - Site Plan
ZONING CALCULATIONS:
ADDRESS:BLOCK: 15784 LOT(S): 1EXISTING ZONE: R4-1PROPOSED ZONE: R5/ C1-3 OVERLAYLOT AREA(S): 29,235 SQ .FT. - AREA EXCLUSIVE OF RIGHT OF WAY
981 SQ. FT. - RIGHT OF WAY TOTAL: 30,216 SQ. FT.
EXISTING USE: VACANTPROPOSED USE: RETAIL ( USE GROUP: 6)
ORD# DESCRIPTIONF.A.R. CALCULATIONS :
33-121 MAX. F.A.R. FOR BUILDING WITH COMMERCIAL USE ONLY: 1.0MAX FLOOR AREA PERMITTED: 1 X 30,216 SQ.FT. =30,216 SQ.FT.
TOTAL RETAIL FA PROPOSED: 5,469 SQ.F.T
23-141 MAX. F.A.R. FOR BUILDING WITH RESIDENTIAL. USE: 1.25MAX FLOOR AREA PERMITTED: 1.25 X 30,216 =37,770 SQ.FT.
TOTAL RESIDENTIAL FA PROPOSED : 29,850 SQ.FT
TOTAL BLDGS MAX FAR PERMITTED : 37,770 SQ.FT.
TOTAL FLOOR AREA PROPOSED : 35,379 SQ.F.T
OPEN SPACE & LOT COVERAGE FOR RESIDENTIAL USE:23-141 MIN. OPEN SPACE = %45
%45 X 30,216 = 13,597.20 SQ.FT.23-141 MAX. LOT COVERAGE = %55
%55 X 30,216 = 16,618.80 SQ.FT.
DENSITY FOR RESIDENTIAL USE:23-22 MAX. NUMBER OF DWELLING UNITS: FACTOR OF 760
RESIDENTIAL FAR = 30,216 / 760 = 39 UNITS.
23-23 MIN. SIZE OF 300 OF FLOOR AREA.
YARDS AND SET BACKS REQUIREMENTS:
FRONT YARDS23-45 MIN. FRONT YARD FOR RESIDENTIAL BLDG: 10'
REQUIRED REAR YARDS:
33-283 EQUIVALENT OF 40' AT MIDWAY FOR COMMERCIAL.. 23-532 EQUIVALENT OF 60' AT MIDWAY FOR PRESIDENTIAL.
REQUIRED SIDE YARDS:33-25 NONE FOR COMMERCIAL, BUT IF PROVIDED : 8', PROVIDED: 8'33-291 8' BETWEEN BUILDING ON C1 AND R1,R2,R3,R4,R5 PROVIDED: 8'
23-462 MIN. OF %10 OF STREET WALL FOR RESIDENTIAL,%10 X 138-6" = 13.85' SIDE YARD OF IS REQ'D, PROVIDED: 13'-10"MAXIMUM HEIGHT AND SET BACKS
23-631 (d) MAX. STRUCTURAL WALL 30'20 DEGREE SLOPE
(i) MAX. BLDG HEIGHT 40'
ACCESSORY OFF STREET PARKING25-23 %85 OF RESIDENTIAL UNITS:
%85 X 27 = 23 SPACES PROVIDED: 2936-21 1 PER 400 S.F. FOR GENERAL RETAIL (USE GROUP 6)
5,629 SQ. FT. / 400 = 14 SPACES REQ'D PROVIDED: 14
36-53 WIDTH AND LOCATION OF CURB CUTS50' MIN FROM ANY INTERSECTION, PROVIDED: 50'
36-56 SCREENINGA STRIP OF 4'-0" WIDE (MIN) OF PLANTING, PROVIDED: 4'
REQUIRED OFF STREET LOADING BERTHS36-62 FIRST 8,000 SF = NONE, PROVIDED: NONE
GROSS FLOOR AREASRETAIL 1ST FLOOR : 5,629 SQ. FT.
RESIDENTIAL :2ND-4TH FLOOR: 7,846 SQ. FT. x 3 = 23,538 SQ. FT.5TH FLOOR: 5,986 SQ. FT.1ST FLOOR LOBBY: 2,326 SQ. FT.
TOTAL RESIDENTIAL BUILDING: 31,850 SQ.FT
TOTAL BUILDINGS GROSS AREA: 37,479 SQ. FT.
FLOOR AREASRETAIL 1ST FLOOR : 5,629 SQ. FT.Mechanical Deductions : (100 SQ.FT)TOTAL RETAIL PROPOSED FA : 5,529 SQ.F
RESIDENTIAL : 31,850 SQ.FTMechanical Deductions : (2,000 SQ.FT)TOTAL RESIDENTIAL PROPOSED FA : 29,850 SQ.F
TOTAL PROPOSED FLOOR AREA: 35,379 SQ.FT
R4-1
R5 / C1-3
LOBBY2,326 SQ. FT.
SINGLE STORY RETAIL5,629 SQ. FT.
FREE STANDINGWALL
10'-4 12 "
13'-10"
8'-0"
8'-0"
72'-4 12 "
83'-1"
53'-7 12 "
102'-9"
18'-0"
4'-0"
18'-0"
22'-91
2"
18'-0"
23'-2"
18'-0"
8'-0"
5'-0"
8'-0"
8'-6"
8'-6"
8'-6"
18'-0"
24'-0"
22'-0"
18'-0"
20'-0"
5'-0"
36'-51
2"
51'-2 12 "
RAMP
WATJEAN CT
(NARROW
)
SEAGIRT BLVD
(WIDE)
FERNSIDE PLACE
(NARROW)
RETAILPARKING14 SPACES
RESIDENTIALPARKING29 SPACES
HIGHLAND CT
LINE OFBLDG ABOVE
20'-0"
5'-10"
SECTION
B
SECTION
B
SECTIONA
19'-612"
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or inpart be made without the express written permission of Zyscovich Architects. All designs indicated in thesedrawings are property of Zyscovich Architects. All copyrights reserved © 2015.
270 Lafayette St., Suite 905New York City, NY 10012212.343.0044
e [email protected] www.zyscovich.com
N
SEAGIRT BLVD
(WIDE)
WATJEAN CT
(NARROW
)
FERNSIDE PLACE
(NARROW)
LOT 22
LOT 20
LOT 25
LOT 26
LOT 28
LOT 29
LOT 31
HIGHLAND CT
PROPOSED LOT LINE
MID WAY LINE
100'-0"CORNER LOT
70'-9"
THROUGH LOT
100'-0"
CORNER LOT10' FRONT SET BACK
(RESIDENTIAL)
10' FRONT SET BACK
(RESIDENTIAL)
8' SIDE SET BACK
COMMERCIAL
z 33-291
10% OF RESIDENTIAL BLDG WIDTH
13.85' SIDE SET BACK
RESIDENTIAL
170'-6 12 "
192'-7"
152'-3"
ARC : ±155'-6"
60'-0
"
resid
entia
l rear
yard
equiv
alent
40'-0
"
com
mer
cial re
ar ya
rd eq
uivale
nt
PROPOSED COMMERCIALBUILDING (ONE STORY)
PROPOSED RESIDENTIALBUILDING (5 STORIES)
R4-1
R5 / C1-3
122'-1"
Arc ±121'-6"
46'-11"
Arc ± 47'-0"
SECTION
B
SECTION
B
SECTIONA
5'-10"
10'-0"
SECTION
A
10"-0"
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or inpart be made without the express written permission of Zyscovich Architects. All designs indicated in thesedrawings are property of Zyscovich Architects. All copyrights reserved © 2015.
270 Lafayette St., Suite 905New York City, NY 10012212.343.0044
e [email protected] www.zyscovich.com
N
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or inpart be made without the express written permission of Zyscovich Architects. All designs indicated in thesedrawings are property of Zyscovich Architects. All copyrights reserved © 2015.
270 Lafayette St., Suite 905New York City, NY 10012212.343.0044
e [email protected] www.zyscovich.com
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or inpart be made without the express written permission of Zyscovich Architects. All designs indicated in thesedrawings are property of Zyscovich Architects. All copyrights reserved © 2015.
270 Lafayette St., Suite 905New York City, NY 10012212.343.0044
e [email protected] www.zyscovich.com
270 Lafayette St., Suite 905 New York City, NY 10012t 212.343.0044
e [email protected] www.zyscovich.com
Seagirt Boulevard Rezonings EAS Figure A-6Beach 13th Street Site - Site Plan
For Illustrative Purposes Only
1468NYRF - Mixed-Use Rockaway, NY
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or in part may be made without the express written permission of Zyscovich Architects. All designs indicated in these drawings are the property of Zyscovich Architects.All copyrights reserved ©2013.
September 3, 2015B.13 - Site Plan
SINGLE STORY RETAIL6,393.6 SQ. FT.
CUSTOMER PARKING16 SPACES
HEYSON ROAD
50' WIDE
(NARROW STREET)
SEAGIRT BLVD
(118' WIDE)
(WIDE STREET)
B.1
3TH
STR
EE
T60
' WID
E(N
ARR
OW
STR
EET)
22'-0"
326'-412"
10'-0"296'-3"
107'
-0"
34'-1"
44'-6"55
'-11"
54'-812"
107'
-0"
8'-6"
18'-0" 19'-10"4'-0"
4'-0"
90'-512"
SECTIO
NA
SECTIO
N
A
ZONING CALCULATIONS:
ADDRESS:BLOCK: 15620 LOT(S): 1& 11EXISTING ZONE: R5PROPOSED ZONE: R5/ C1-3 OVERLAYLOT AREA(S): 17,373.5 SQ. FT.EXISTING USE: VACANTPROPOSED USE: RETAIL ( USE GROUP: 6)
ORD# DESCRIPTIONF.A.R. CALCULATIONS :
33-121 MAX. F.A.R. FOR BUILDING WITH COMMERCIAL USE: 1.0MAX FLOOR AREA PERMITTED: 1 X 17,373.5 SQ. FT. =17,373.5 SQ. FT.
TOTAL FLOOR AREA PROPOSED: 6,393.6 SQ. FT.
REQUIRED REAR YARDS:
33-28 NON FOR THROUGH LOTS, PROVIDED: 0'
REQUIRED SIDE YARDS:33-25 NONE, BUT IF PROVIDED : 8', PROVIDED: 0'
MAXIMUM HEIGHT AND SET BACKS33-431 MIN 30' BASE HEIGHT OR 2 STORIES
INITIAL SET BACK : 20' (NARROW STREET)INITIAL SET BACK :15' (WIDE STREET)
ACCESSORY OFF STREET PARKING36-21 1 PER 400 S.F. FOR GENERAL RETAIL (USE GROUP 6)
6,393.6 SQ. FT. / 400 = 16 SPACES REQ'D PROVIDED: 16
36-53 WIDTH AND LOCATION OF CURB CUTS50' MIN FROM ANY INTERSECTION, PROVIDED: 50'
36-56 SCREENINGA STRIP OF 4'-0" WIDE (MIN) OF PLANTING, PROVIDED: 4'
REQUIRED OFF STREET LOADING BERTHS36-62 FIRST 8,000 SF = NONE, PROVIDED: NONE.
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or inpart be made without the express written permission of Zyscovich Architects. All designs indicated in thesedrawings are property of Zyscovich Architects. All copyrights reserved © 2015.
270 Lafayette St., Suite 905New York City, NY 10012212.343.0044
e [email protected] www.zyscovich.com
N
270 Lafayette St., Suite 905 New York City, NY 10012t 212.343.0044
e [email protected] www.zyscovich.com
Seagirt Boulevard Rezonings EAS Attachment A: Project Description
A-4
requirements, as well as the recently-adopted flood resilience zoning text amendment for construction
within the 100-year floodplain.
Actions Necessary to Facilitate the Proposed Project
Zoning Map Amendments
The proposed actions consist of two related zoning map amendments. The first rezoning action (ULURP
No. 160033ZMQ) would map a C1-3 commercial overlay over an existing R5 district on Block 15620
(a.k.a. the Beach 13th Street Site), and the second rezoning action (ULURP No. 160351ZMQ) would rezone
Block 15784, Lot 1 (a.k.a. the Fernside Place Site) from R4-1 to R5 with a C1-3 commercial overlay to a
depth of 100 feet along Seagirt Boulevard. Comparisons of the existing and proposed zoning are presented
in Figures A-7a and A-7b.
R5 districts allow a variety of housing; typically three- and four-story attached houses and small apartment
buildings transition between lower- and higher-density neighborhoods. R5 zoning district bulk regulations
permit a maximum residential FAR of 1.25, a maximum community facility FAR of 2.0, maximum lot
coverage of 55 percent, a maximum street wall height of 30 feet, and a maximum building height of 40 feet;
parking is required for a minimum of 85 percent of dwelling units.
C1-3 districts are mapped within residential districts along streets that serve local retail needs. Commercial
uses are permitted up to 1.0 FAR with one parking space per 400 zoning square feet (zsf) of retail.
The proposed zoning map amendments are discretionary public action that is subject to both the Uniform
Land Use Review Procedure (ULURP) and CEQR.
IV. PROJECT PURPOSE AND NEED
The proposed actions are intended to facilitate residential and commercial redevelopment of two vacant
properties in the Far Rockaway neighborhood of Queens CD 14. As indicated above, the applicant proposes
to develop a 5,629 gsf single-story retail building and a five-story 31,850 gsf multi-family residential
building on the Fernside Place Site, as well as a 6,394 gsf single-story retail building on the Beach 13th
Street Site.
The proposed rezoning of the Fernside Place Site (Block 15784, Lot 1) from R4-1 to R5 would provide
opportunities for a greater amount of residential development by increasing the maximum permitted
residential FAR from 0.9 to 1.25; this increase in the permitted residential FAR would be consistent with
the multi-family residential buildings that currently exist along Seagirt Boulevard to the east and southeast.
The proposed R5 residential zoning district would be consistent with the zoning to the block immediately
to the east, and would serve as a transition between the R4-1 and R4A districts to the north and west and
the R6 districts to the southeast.
The proposed C1-3 commercial overlays on the Fernside Place Site and the Beach 13th Street Site would
allow retail uses up to a maximum FAR of 1.0 to serve the area’s residential population in an appropriate
location with excellent visitor access.
The proposed Fernside Place Site C1-3 commercial overlay would facilitate commercial development in an
area where commercial uses already exist in close proximity; there are several local businesses along Seagirt
CURRENT ZONING MAP PROPOSED ZONING MAP - Area being rezoned is outlined with dotted linesChanging an R4-1 district to a R5 and R5/C1-3 district
Seagirt Boulevard Rezonings Zoning Change Map
EDGEMERE AVE.
HIGHLAND CT.
100’
55’
BEACH 26TH
ST
BEACH 25TH
ST
BE ACH 26TH
ST
BEACH 25TH
ST
WATJEAN C T.
R4-1
R5
R3A
R4-1
CAMPRD
ST
27
TH
BE
AC
H
RD.
FERNSI
DE
240
110 ST
AVE.B. 2
6TH
200
100500
80
PE
DE
ST
RIA
N
PL.
NOTE: Zoning information as shown on this map is subject tochange. For the most up-to-date zoning information for this map,visit the Zoning section of the Department of City Planning website:www.nyc.gov/planning or contact the Zoning Information Desk at(212) 720-3291.NOTE: Where no dimensions for zoning district boundaries appear on the zoning maps, such dimensions are determined
in Article VII, Chapter 6 (Location of District Boundaries) of the Zoning Resolution.
C1-1 C1-2 C1-3 C1-4 C1-5 C2-1 C2-2 C2-3 C2-4 C2-5
BE ACH 26TH
ST
BEACH 25TH
ST
R4-1
R5R
3A
R4-1
CAMPRD
ST
27
TH
BE
AC
H
RD.
FERNSI
DE
240
110 ST
AVE.B. 2
6TH
200
100500
80
PE
DE
ST
RIA
N
PL.
EDGEMERE AVE.
HIGHLAND CT.
WATJEAN C T.
Seagirt Boulevard Rezonings EAS Figure A-7aExisting and Proposed Zoning - Fernside Place Site
NOTE: Zoning information as shown on this map is subject tochange. For the most up-to-date zoning information for this map,visit the Zoning section of the Department of City Planning website:www.nyc.gov/planning or contact the Zoning Information Desk at(212) 720-3291.NOTE: Where no dimensions for zoning district boundaries appear on the zoning maps, such dimensions are determined
in Article VII, Chapter 6 (Location of District Boundaries) of the Zoning Resolution.
C1-1 C1-2 C1-3 C1-4 C1-5 C2-1 C2-2 C2-3 C2-4 C2-5
CURRENT ZONING MAP PROPOSED ZONING MAP - Changing an R5 district to an R5/C1-3 district
Seagirt Boulevard Rezonings Zoning Change Map
BEACHP A R K
PROMENA
THEONESCU
HEYSON
B. 1
6TH
ST.D.
ON
R5R4A
PLAINVIEW
B. 1
5T
HS
T
RD.
ST
.
B. 1
4T
H
AV
E.
B. 1
1T
H S
T.
MEEHANAVE.
AVE.
100
BEACHP A R K
PROMENA
THEONESCUHEYSON
B. 1
6TH
ST.D.
ON
R5R4A
PLAINVIEW
B. 1
5T
HS
T ST
.
B. 1
4T
H
AV
E.
B. 1
1T
H S
T.
MEEHANAVE.
AVE.100
Area being rezoned is outlined with dotted lines
Seagirt Boulevard Rezonings EAS Figure A-7bExisting and Proposed Zoning - Beach 13th Street Site
Seagirt Boulevard Rezonings EAS Attachment A: Project Description
A-5
Boulevard and a C1-1 commercial overlay is mapped directly opposite the Fernside Place Site on the south
side of Seagirt Boulevard.
The C1-3 commercial overlay on the Beach 13th Street Site would also facilitate commercial development
adjacent to the Rockaway Beach and Boardwalk, on a very narrow lot that is not conducive to residential
development. As noted above, the Beach 13th Street Site has a maximum width of 107 feet (on the west),
with a width of only ten feet at its most narrow point to the east. It is the belief of the applicant that
commercial development on the Beach 13th Street Site is appropriate given the site’s location relative to a
primary entry point to the eastern segment of Rockaway Beach and Boardwalk and its associated concession
stand. It is anticipated that retail uses on the Beach 13th Street Site would serve both visitors to this nearby
destination open space and residents in the surrounding area.
The proposed C1-3 commercial overlay would also be consistent with the goals of the 2008 Rockaway
Neighborhood Rezoning, which changed C1-2 commercial overlays to C1-3 to reflect existing land uses
and provide a mix of residential and commercial activities. It is the applicant’s opinion that the proposed
commercial overlays would promote local economic growth, create new employment opportunities for local
residents and fiscal benefits to the City in the form of increased tax revenues, expand shopping opportunities
in the area, and provide new convenient goods and services for area residents and visitors.
V. REASONABLE WORST-CASE DEVELOPMENT SCENARIO
For environmental analysis purposes, a RWCDS has been identified for the project sites for the 2018
analysis year (“Build Year”). The incremental difference between the future No-Action and future With-
Action scenarios are the basis for the impact category analyses of this Environmental Assessment Statement
(EAS). Table A-1 provides a comparison of the 2018 No-Action and With-Action conditions.
Table A-1: Comparison of 2018 No-Action and With-Action Conditions
No-Action With-Action Increment
Land Use
Vacant Land 46,609 sf 0 -46,409 sf
Residential 0 31,850 gsf (27 DU) +31,850 gsf (+27 DU)
Commercial (Retail) 0 12,023 gsf +12,023 gsf
Total Building Floor Area 0 43,873 gsf +43,873 gsf
Surface Parking Spaces 0 59 +59
Population1
Residents 0 73 +73
Workers 0 13 +13
Notes: 1 Population based on the following assumptions: 2.71 persons per household (based on 2010 Census data for Queens
CD 14), one residential employee per 25 DU, and one retail employee per 1,000 gsf of retail.
No-Action Scenario
Under current zoning, it is possible to develop the development sites with residential and/or community
facility uses. The Fernside Place Site (Queens Block 15784, Lot 1) could be developed with up to 0.9 FAR
of residential uses (with a 0.15 attic allowance) or up to 2.0 FAR of community facility uses as-of-right;
and the Beach 13th Street Site (Queens Block 15620, Lots 1 and 11) could accommodate 1.25 FAR or
residential and/or community facility uses as-of-right. However, for this environmental review, absent the
proposed actions, it is conservatively assumed that the development sites would remain vacant.
Seagirt Boulevard Rezonings EAS Attachment A: Project Description
A-6
With-Action Scenario
As stated in the CEQR Technical Manual, determination of the RWCDS must consider constraints created
by the configuration of the parcel, location of streets, or subsurface topographical conditions; market
conditions; adjacent uses and conditions, which could affect market perception and demand; and the type
of density of development or activity that is typical in the particular area and borough.
Fernside Place Site
As noted above, under the proposed rezoning, the Fernside Place Site would be rezoned from R4-1 to R5
with a C1-3 commercial overlay, which permits a maximum FAR of 1.25, including up to 1.0 FAR of
commercial uses. The applicant is proposing to construct approximately 0.99 FAR of residential uses and
approximately 0.18 FAR of commercial uses on the Fernside Place Site, for a total FAR of 1.17. As the
proposed development of the Fernside Place Site would utilize approximately 94 percent of the permitted
FAR under the proposed R5/C1-3 zoning district, and the predominantly residential uses would be
consistent with the market trends in the surrounding area, it represents the RWCDS for purposes of
environmental review.
Beach 13th Street Site
Under the proposed rezoning, a C1-3 commercial overlay would be mapped on the R5 zoned Beach 13th
Street Site, permitting up to 1.0 FAR of commercial uses; no change in the maximum permitted residential
FAR (1.25) would occur under the proposed actions. The applicant is proposing to construct approximately
0.37 FAR of commercial uses on the Beach 13th Street Site; no residential uses are proposed. While a
maximum of 21,717 zsf of floor area would be permitted on the Beach 13th Street Site, including up to
17,373 zsf of commercial retail uses, given the very narrow lot site constraints and the bulk and parking
requirements in R5 zoning districts, maximizing the permitted FAR on the Beach 13th Street Site in the
future with the proposed actions is infeasible. As noted above, the approximately 17,373-sf Beach 13th
Street Site has a maximum width of 107 feet on Beach 13th Street (to the west) and narrows to a width of
just ten feet at Beach 12th Street (to the east).
In addition, as the proposed actions would not increase the permitted residential FAR of the Beach 13th
Street Site from existing conditions, and site conditions have not changed to make the development of a
residential building on the narrow lot more feasible, the development of the Beach 13th Street Site with only
commercial uses would represent a reasonable worst-case condition.
As indicated in Figure A-6, the proposed Beach 13th Street Site development would maximize the
developable area in the widest portion of the site. If the building’s floor area were increased by as little as
206.4 zsf (to 6,600 zsf), one additional accessory parking space would be required, which could not
reasonably be accommodated on the site while maintaining a four-foot wide planting/parking screening, as
required pursuant to the New York City Zoning Resolution (refer to Figure A-6). Therefore, the proposed
6,394-gsf retail development on the Beach 13th Street Site represents the RWCDS for purposes of
environmental review.
VI. REQUIRED APPROVALS AND REVIEW PROCEDURES
The proposed actions are subject to the City’s land use and environmental review processes, described
below.
Seagirt Boulevard Rezonings EAS Attachment A: Project Description
A-7
Uniform Land Use Review Procedure
The City’s ULURP, mandated by Sections 197-c and 197-d of the City Charter, is a process specifically
designed to allow public review at four levels: the Community Board, the Borough President, the CPC, and
the City Council. The procedure sets time limits at each review, with a maximum period of approximately
seven months.
The process begins with DCP certification that the ULURP application is complete. The application is then
referred to the Community Board in which the project takes place (for the proposed project, Brooklyn
Community Board 1). The Community Board has up to 60 days to review the proposal, hold a public
hearing, and adopt a resolution regarding the proposal. Next, the Borough President has up to 30 days to
perform the same steps. The CPC then has up to 60 days, and, during that time, a ULURP public hearing is
held. The CPC then forwards the application to the City Council. Following the Council’s vote, the Mayor,
at his discretion, may choose to veto the action. The City Council can override that veto.
Environmental Review
The proposed actions are subject to CEQR. CEQR is a process by which agencies review discretionary
actions for the purpose of identifying the effects those actions may have on the environment. The CEQR
process requires City agencies to assess, disclose, and mitigate to the greatest extent practicable the
significant environmental consequences of their decisions to fun, directly undertake, or approve a project.
DCP, acting on behalf of the CPC, is the lead agency for the proposed actions.
ATTACHMENT B
SUPPLEMENTAL SCREENING
B-1
Seagirt Boulevard Rezonings EAS
Attachment B: Supplemental Screening
I. INTRODUCTION
This Environmental Assessment Statement (EAS) has been prepared in accordance with the guidelines and
methodologies presented in the 2014 City Environmental Quality Review (CEQR) Technical Manual. For
each technical area, thresholds are defined, which, if met or exceeded, require that a detailed technical
analysis be undertaken. Using these guidelines, preliminary screening assessments were conducted for the
proposed actions to determine whether detailed analyses of any technical areas may be appropriate.
Part II of the EAS Form identifies those technical areas that warrant additional assessments. The technical
areas that warranted a “Yes” answer in Part II of the EAS form were land use, zoning, and public policy;
shadows; historic and cultural resources; urban design and visual resources; natural resources; hazardous
materials; transportation; air quality; noise; neighborhood character; and construction. As such, a
supplemental careening assessment for each of the aforementioned analysis areas is provided in this
attachment. In addition, a supplemental screening of water and sewer infrastructure is provided because the
conditions outlined in Part II of the EAS form were not directly applicable to the proposed project and did
not rule out the possibility for a significant adverse impact. All remaining technical areas detailed in the
CEQR Technical Manual were not deemed to require supplemental screening, as they do not trigger initial
CEQR thresholds and/or are unlikely to result in significant adverse impacts.
The supplemental screening assessment contained herein identified that detailed assessments are required
in the areas of land use, zoning, and public policy, shadows, urban design and visual resources, water and
sewer infrastructure, and air quality. These analyses are provided in Attachments C through G, and are
summarized below. Table B-1 identified for each CEQR technical area whether (a) the potential for impacts
can be screened out based on the EAS From, Part II, Technical Analyses; (b) the potential for impacts can
be screened out based on a supplemental screening per the CEQR Technical Manual; or (c) a more detailed
assessment is required to make an impact determination.
II. SUPPLEMENTAL SCREENING
Land Use, Zoning, and Public Policy
According to the CEQR Technical Manual, a detailed assessment of land use, zoning, and public policy is
appropriate if an action would result in a significant change in land use or would substantially affect
regulations or policies governing land use. Zoning and public policy analyses are typically performed in
conjunction with a land use analysis when an action would change the zoning on the site or result in the
loss of a particular use. Land use analyses are required when an action would substantially affect land use
regulations. Furthermore, for all discretionary actions within the designated Coastal Zone, an assessment
of consistency with the WRP is required.
As the proposed actions includes zoning map amendments that would affect two blocks that are located
within the boundaries of the Coastal Zone, a land use, zoning, and public policy assessment was prepared
and is included in Attachment C, “Land Use, Zoning, and Public Policy.” As discussed therein, no
significant adverse impacts on land use, zoning, or public policy, as defined by the guidelines for
determining impact significant set forth in the 2014 CEQR Technical Manual, are anticipated in the 2018
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-2
future with the proposed actions in the primary and secondary study areas. The proposed actions would not
directly displace any land uses so as to adversely affect surrounding land uses, nor would it generate land
uses that would be incompatible with land uses, zoning, or public policy in the secondary study area. The
proposed actions would not create land uses or structures that would be incompatible with the underlying
zoning, nor would it cause a substantial number of existing structures to become nonconforming. The
proposed actions would not result in land uses that conflict with public policies applicable to the primary
or secondary study areas.
Table B-1: Summary of CEQR Technical Areas Screening
Technical Area
Screened out per EAS
Form
Screened out per
Supplemental Screening
Detailed Analysis
Required
Land Use, Zoning, &
Public Policy X
Socioeconomic
Conditions X
Community Facilities X
Open Space X
Shadows X
Historic & Cultural
Resources X
Urban Design & Visual
Resources X
Natural Resources X
Hazardous Materials X
Water & Sewer
Infrastructure X
Solid Waste & Sanitation
Services X
Energy X
Transportation X
Air Quality X
Greenhouse Gas
Emissions X
Noise X
Neighborhood Character X
Construction X
Shadows
A shadows assessment considers proposed actions that result in new shadows long enough to reach a
publicly accessible open space or historic resource (except within an hour and a half of sunrise or sunset).
For proposed actions resulting in structures less than 50 feet high, a shadows assessment is generally not
necessary unless the site is adjacent to a park, historic resource, or important natural feature (if the features
that make it significant are sunlight sensitive). According to the CEQR Technical Manual, some open
spaces contain facilities that are not sunlight-sensitive and do not require a shadows analysis, including
paved areas (such as handball or basketball courts) and areas without vegetation.
As detailed in Attachment A, “Project Description,” in the reasonable worst case development scenario
(RWCDS), three new buildings would be constructed on the development sites, ranging in height from
approximately 15 to 40 feet, and therefore would be less than the 50-foot analysis threshold. However, both
of the development sites are located across the street from existing open space resources. The Fernside
Place Site (Block 15784, Lot 1) is located across the street from a designated Greenstreet (to the east); and
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-3
the Beach 13th Street Site (Block 15620, Lots 1 and 11) is located across the street from the Rockaway
Beach and Boardwalk (to the south) and a designated Greenstreet (to the east), which could include
sunlight-sensitive features1. As such, a shadows assessment was conducted to determine whether the
proposed building under the RWCDS would result in new shadows long enough to reach sunlight-sensitive
features of these open space resources. The shadows assessment is provided in Attachment D, “Shadows.”
As discussed in Attachment G, the Tier 1, Tier 2, and Tier 3 screening assessment showed that the proposed
residential developments on the Fernside Place Site would cast incremental shadows on the Greenstreet
located to its east and therefore a detailed analysis was warranted. As no incremental shadows would be
cast on any nearby sunlight-sensitive resources by the proposed Fernside Place Site and Beach 13th Street
Site single-story retail buildings, the detailed analysis focused on shadows cast by the proposed Fernside
Place Site residential building, only. While incremental shadows from the Fernside Place Site would be
cast on the Greenstreet to its east on one or more analysis days, the incremental shadows would not affect
the utilization of the open space or the health of their vegetation. As such, the proposed actions would not
result in a significant adverse shadows impact.
Historic and Cultural Resources
Historic and cultural resources are defined as districts, buildings, structures, sites, and objects of historical,
aesthetic, cultural, and archaeological importance. This includes properties that have been designated or are
under consideration for designation as New York City Landmarks or Scenic Landmarks, or are eligible for
such designation; properties within New York City Historic Districts; properties listed on the State and/or
National Register of Historic Places; and National Historic Landmarks. An assessment of architectural
and/or archaeological resources is usually needed for projects that are located adjacent to historic or
landmark structures or projects that require in-ground disturbance, unless such disturbance occurs in an
area that has already been excavated.
According the CEQR Technical Manual guidelines, impacts on historic resources are considered on those
sites affected by proposed actions and in the area surrounding identified development sites. The historic
resources study area is therefore defined as the project site as well as an approximately 400-foot radius
around the development sites. Archaeological resources are considered only in those areas where new
excavation or ground disturbance is likely and would result in new in-ground disturbance, as compared to
No-Action conditions (the development sites).
Architectural Resources
As indicated in Figure B-1, one S/NR-listed historic district is located within 400 feet of the Fernside Place
Site: the Far Rockaway Beach Bungalow Historic District, which was listed on July 7, 2013. In a letter
dated June 5, 2015, the New York City Landmarks Preservation Commission (LPC) determined that no
additional architecturally significant resources are located within the approximately 400-foot historic
resources study area (see Appendix II). A detailed description of the Far Rockaway Beach Bungalow
Historic District is provided below.
1 It should be noted that the portion of the Rockaway Beach and Boardwalk most proximate to the Fernside Place
Site is comprised of a surface parking lot, which is not considered a sunlight-sensitive resources pursuant to CEQR
Technical Manual guidelines.
SEAGIRT BLVD
BOARDWALK
BE
AC
H 1
9 S
T
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7 ST
CA
MP
RD
COLLIER AV
BEACH
20 ST
HEYSON RD
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27 ST
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EST RD
DEERFIELD RD
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9 ST
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26 ST
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ELK DR
BEACH
24 ST
BEACH
28 ST
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BRIAR PL
EDGEMERE AV
NEW HAVEN AV
MEEHAN AV
WATJEAN CT
BE
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SEAGIRT AV
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6 ST
BEACH
28 ST
SEAGIRT AV
BEACH 25 ST
BEACH
27 ST
BEACH
28 ST
BOARDWALK
PLAINVIEW AV
Seagirt Boulevard Rezonings EAS Figure B-1Historic Resources Study Area
°0 250 500 750 1,000Feet
LegendDevelopment Sites
400-Foot Radii
Far Rockaway Beach Bungalow Historic District
Fernside Place Site
Beach 13th St. Site
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-4
Far Rockaway Beach Bungalow Historic District2
As indicated in Figure B-1, the Far Rockaway Beach Bungalow Historic District comprises portions of
Beach 24th, Beach 25th, and Beach 26th Streets and includes approximately 100 contributing summer
bungalows originally constructed in 1921 as affordable vacation homes for New York City residents.3 In
the early 1900s, developers from New York City came to the Rockaways and built several bungalow
communities that were generally segregated by race and ethnicity. Although each was a separate
community, the bungalows themselves were nearly identical in appearance, each consisting of three
bedrooms, a small kitchen, a bathroom, and a porch on a typical 25-foot by 50-foot lot that was sold to an
individual family (refer to Figure B-2). These bungalows once stretched from Beach 4th Street on the eastern
end to Breezy Point on the western end of the Rockaway Peninsula. Along each street were approximately
40 bungalows, and many streets had two rows of double lots, with bungalows built back-to-back. The Far
Rockaway Beach Bungalow Historic District is the era’s last intact bungalow community along the Far
Rockaway peninsula.
The District’s bungalows are sited on small parcels that either face Beach 24th to Beach 26th Streets or on
interior parcels that face a narrow concrete common walkway, which runs north to south between each
street (see Figure B-2). The walkway was originally a promenade that ran from the boardwalk north to past
Seagirt Boulevard, allowing pedestrians to access the beach without crossing the road directly. Six-foot
common alleyways separate each bungalow from its neighbors.
The bungalows themselves typically measure approximately 17 to 20 feet wide by 30 feet deep, with
minimal variations found throughout the district. The bungalows are all one and a half story wood-frame
dwellings with gable, hipped, or clipped gable roofs. Typical character defining features are the buildings’
small scale, integrated porches, facades defined by side-hall entrances and two double-hung windows, and
dormers punctuating the roof line (see Figure B-2). Common decorative exterior features include roof and
dormer rafter tails, arched porch supports with diamond medallions, and garden planters. Originally, all of
the bungalows were constructed with either wood shingle or stucco cladding and stood on locust posts, a
common material found in many bungalow communities.
A handful of the bungalows have been re-sided with synthetic materials. Although some owners have
replacement double-sash windows, the vast majority of the bungalows retain their original wood surrounds.
The best preserved streetscapes can be found on Beach 24th and Beach 25th Streets, with a small collection
of extant and contiguous bungalows on Beach 26th Street. In the aftermath of Hurricane Sandy, which struck
the Rockaway Peninsula on October 29, 2012, destroying the community of Breezy Point and severely
damaging thousands of homes and businesses, the bungalows of the Far Rockaway Beach Bungalow
Historic District withstood any significant damage, with only minor flooding in approximately 12
bungalows. Overall, the District retains a consistency of lot size, setback, building siting, footprint, and
shape, and roof types, providing for an unbroken streetscape of small, similar cottages.
Effects of the Proposed Actions
According to the CEQR Technical Manual, generally, if a proposed action would affect those characteristics
that make a resource eligible for S/NR listing, this could be a significant adverse impact. The proposed
project was assessed in accordance with the guidelines established in the CEQR Technical Manual to
determine whether there would be a physical change to any designated property or its setting as a result of
the proposed action and, if so, if the change is likely to diminish the qualities of the resource that make if
2 Much of this section is from the S/NR Nomination Report. 3 The district also includes the contributing beach access land, three non-contributing bungalows that have been
altered, and the site of an abandoned building project.
Seagirt Boulevard Rezonings EAS Figure B-2
Far Rockaway Beach Bungalow Historic District
1. Beach 25th Street looking northeast
3. Beach 24th Street looking southeast
2. Beach 24th Street looking northeast
4. 168 Beach 25th Street
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-5
important (including non-physical changes such as contextual or visual prominence). As no historic
resources are located within 400 feet of the Beach 13th Street Site, the analysis below focuses on the effects
of the proposed Fernside Place Site development.
Direct (Physical) Effects
The development sites are currently vacant and do not contain any architectural resources. In addition, as
outlined in greater detail in Attachment D, “Shadows,” the proposed actions would not cast incremental
shadows on any sunlight-sensitive architectural resources. As such, the proposed actions would not result
in any direct effects on architectural resources.
Construction-Related Effects
The New York City Building Code provides some measures of protection for all properties against
accidental damage from adjacent construction by requiring that all buildings, lots, and service facilities
adjacent to foundation and earthwork areas be protected and supported. Additional protective measures
apply to NYCL-designated and S/NR-listed historic buildings located within 90 linear feet of a proposed
construction site. For these structures, the NYC Department of Buildings (DOB)’s Technical Policy and
Procedure Notice (TPPN) #10/88 applies. TPPN 10/88 supplements the standard building protections
afforded by the Building Code by requiring, among other things, a monitoring program to reduce the
likelihood of construction damage to adjacent NYCL-designated or S/NR-listed resources (within 90 feet)
and to detect at an early stage the beginnings of damage so that construction procedures can be changed.
The nearest designated resource to the project site is the Far Rockaway Beach Bungalow Historic District,
which is located at a distance of approximately 190 feet from the Fernside Place Site lot line at its closest
point. This is 100 feet farther than the 90-foot maximum distance at which an adverse physical impact may
be significant, as defined by DOB. As such, no construction-related impacts on historic architectural
resources are expected as a result of the proposed project.
Indirect (Contextual) Effects
Contextual impacts may occur to architectural resources under certain conditions. According to the CEQR
Technical Manual, possible impacts to architectural resources may include isolation of the property from,
or alteration of, its setting or visual relationships with the streetscape. This includes changes to the
resource's visual prominence so that it no longer conforms to the streetscape in terms of height, footprint,
or setback; is no longer part of an open setting; or can no longer be seen as part of a significant view
corridor.
As described in Attachment A, “Project Description,” the Fernside Place Site development facilitated by
the proposed actions would comprise a five-story 27 DU residential building and a single-story 5,629 gsf
retail development. The proposed residential building would occupy the northern portion of the Fernside
Place Site and the proposed retail building would occupy the southwestern portion of the site.
The proposed project would not be expected to significantly alter the context of the S/NR-listed Far
Rockaway Beach Bungalow Historic District. While the proposed project would be visible from certain
vantage points of the historic resource, the existing surrounding context of the Historic District includes a
variety of architectural styles, including residential buildings of up to 15 stories in height (directly south of
the District at 120 Beach 26th Street) and low-rise commercial buildings with at-grade parking (directly
north of the District at 25-15 Seagirt Boulevard). As such, the proposed Fernside Place Site development,
which would include a five-story residential building and a single-story retail building, would be consistent
with the variety of architectural styles found in existing buildings in the immediate vicinity. The proposed
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-6
new building would not adversely affect the setting of these eligible resources, which would continue to
exist in the broader context of the surrounding built-up condition and includes a mix of building typologies
constructed over the past century.
The proposed project would not eliminate or substantially obstruct publicly accessible primary views of the
Far Rockaway Beach Bungalow Historic District. Primary views of the District (from south of Seagirt
Boulevard) would not change in the future with the proposed actions. In addition, the proposed project
would not alter the relationship of the resource to the streetscape, since all streets would remain open and
the resource’s relationship with the street would remain unchanged in the future with the proposed actions.
Moreover, no incompatible visual, audible, or atmospheric elements would be introduced by the proposed
project to the historic resource’s setting. Therefore, the proposed project is not expected to result in any
significant adverse indirect or contextual impacts on historic architectural resources.
Archaeological Resources
In a letter dated June 5, 2015, the New York City Landmarks Preservation Commission (LPC) determined
that no archaeologically significant resources are located on the development sites (see Appendix II).
Urban Design & Visual Resources
An area’s urban design components and visual resources together define the look and character of the
neighborhood. The urban design characteristics of the neighborhood encompass the various components of
buildings and streets in the area, including building bulk, use, and type; building arrangement; block form
and street pattern; streetscape elements; street hierarchy; and natural features. An area’s visual resources
are its unique or important public view corridors, vistas, or natural or built features. For CEQR analysis
purposes, this includes only views from public and publicly accessible locations and does not include
private residences or places of business.
An analysis of urban design and visual resources is appropriate if a proposed action would (a) result in
buildings that have substantially different height, bulk, form, setbacks, size, scale, use, or arrangement than
exists in an area; (b) change block form, demap an active street or map a new street, or affect the street
hierarchy, street wall, curb cuts, pedestrian activity or streetscape elements; or (c) would result in above-
ground development in an area that includes significant visual resources.
As the proposed actions would involve a rezoning that would change the allowable floor area ratio (FAR)
and other zoning characteristics of the development sites, a preliminary urban design analysis is required
and is provided in Attachment E, “Urban Design and Visual Resources.” In addition, as two important area
visual resources are located in close proximity to the development sites (the Rockaway Beach and
Boardwalk and the Far Rockaway Beach Bungalow Historic District), an analysis of the potential impacts
of the proposed actions on visual resources is also provided in Attachment E. As discussed therein, the
proposed actions and subsequent development would not have a significant adverse impact on the area’s
urban design and visual resources. The proposed actions would facilitate new development, including
residential and retail uses along a primary corridor of the Far Rockaway neighborhood. The proposed
project would improve the urban design of the development sites by replacing vacant land with new
buildings and landscaping that would enliven the streetscape. The proposed project would be consistent
with and complement the existing building context, which includes a variety of residential building
typologies, as well as retail and open space uses. While the development sites are located in proximity to
the S/NR-listed Far Rockaway Beach Bungalow Historic District and the Rockaway Beach and Boardwalk,
the proposed project would not block significant or unique views of any visual resources or obstruct
important views or view corridors. It is expected that the proposed actions would have a beneficial impact
on the urban design and visual resources of the primary and secondary study areas.
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
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Natural Resources
The CEQR Technical Manual defines natural resources as (1) the City’s biodiversity (plants, wildlife, and
other organisms); (2) any aquatic or terrestrial areas capable of providing suitable habitat to sustain the life
processes of plants, wildlife, and other organisms; and (3) any areas capable of functioning in support of
the ecological systems that maintain the City’s environmental stability. In determining if a natural resources
assessment is appropriate, there are two possibilities that are considered in evaluating the needs for a more
detailed assessment: (a) the presence of a natural resource on or near the project site; and (b) disturbance
of that resources caused by the project.
As discussed in Attachment A, “Project Description,” the development sites encompass Queens Block
15784, Lot 1 (the Fernside Place Site) and Block 15620, Lots 1 and 11 (the Beach 13th Street Site). Both
sites are currently vacant and generally comprised of pervious surface area. The Fernside Place Site’s
vegetation includes grass and trees; a cement cover located in the northwest portion of the site is the only
impervious element on the site. The Beach 13th Street Site’s vegetation is limited to grass. There are no
wetlands or other natural resource features on the development sites.
The development sites do not contain any “built resources” that would be known to contain or may be used
as a habitat by a protected species as defined by the Federal Endangered Species Act or by the New York
State Environmental Conservation Law. The adjacent area is also fully developed with predominantly
residential uses. As part of the 2003 Arverne Urban Renewal Area Final Environmental Impact Statement
(FEIS), the Arverne URA (located approximately 1,500 feet southwest of the Fernside Place Site) was
surveyed to determine the presence of mammals, reptiles, amphibians, insects, and birds. As indicated in
the FEIS, all species that could be expected to occur in the area are urban-tolerant and can occur around
houses. The area was expected to support a low diversity population of mammalian species, and no
amphibians were expected, as there are no wet areas for reproduction. The FEIS also concluded that, despite
the site’s location on the Atlantic Flyway, it was unlikely to contain important habitat for migratory
shorebirds in view of the absence of mudflats and the availability of suitable habitat at nearby Jamaica Bay
Wildlife Refuge and Jacob Riis Park. Similarly, as the development sites do not contain substantial cover
for extensive use by migrants and there is a low diversity of trees, it is unlikely to attract migrant birds.
The development sites are located within the Jamaica Bay Watershed, which is a source of freshwater and
brackish water to the Hudson-Raritan Estuary and extends deep into Brooklyn, Queens, and Nassau County.
Jamaica Bay is one of the largest and most productive coastal ecosystems in the northeast United States and
includes the largest tidal wetland complex in New York City and the surrounding metropolitan areas.
Connecting to the Atlantic Ocean via the Rockaway Inlet, Jamaica Bay’s wetlands serve as flood protection
and shoreline erosion control for the homes and businesses of the encircling neighborhoods.
The New York State Department of Environmental Conservation (NYSDEC) has included Jamaica Bay on
its Section 303(d) impaired water list since 1998 because of violations of water quality standards related to
pathogens, nitrogen, and oxygen demand. The primary causes of the impairment are combined sewage
overflows (CSOs) and wastewater discharges. In June 2006, The Jamaica Bay Watershed Protection Plan
Advisory Committee issued preliminary recommendations for improving the water quality and ecology of
Jamaica Bay, which included best management practices to minimize and control soil erosion and
stormwater and reduce point and nonpoint source pollution.
Pursuant to Local Law 71, enacted in July 2005, DEP was required to develop the Jamaica Bay Watershed
Protection Plan (JBWPP) to assess the legal, technical, environmental, and economic feasibility of possible
measures to protect the Bay. The final JBWPP, submitted in October 2007, outlines a set of objectives and
recommended strategies to address current and future threats to the Bay and ensure that comprehensive
watershed protection is coordinated, focused, and cost-effective. The plan also includes a schedule, with
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
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interim and final milestones, to implement the plan’s measures and meet the specific objectives and
methods for monitoring progress. The Jamaica Bay Watershed Form was completed as per CEQR Technical
Manual requirements and is provided in Appendix III. While the proposed project would alter land use and
impervious cover on the development sites, the affected areas represents a very small area of the entire
watershed draining to Jamaica Bay; the development sites, combined, represent approximately one one-
thousandth of a percent of the area of this approximately 142 square mile highly urbanized watershed.
Therefore, significant adverse impacts are not expected to Jamaica Bay, and a more detailed analysis of
natural resources is not required.
Hazardous Materials
As defined in the CEQR Technical Manual, a hazardous material is any substance that poses a threat to
human health or the environment. Substances that can be of concern include, but are not limited to, heavy
metals, volatile and semivolatile organic compounds (VOCs and SVOCs), methane, polychlorinated
biphenyls (PCBs) and hazardous wastes (defined as substances that are chemically reactive, ignitable,
corrosive, or toxic). According to the CEQR Technical Manual, the potential for significant adverse impacts
from hazardous materials can occur when: (a) hazardous materials exist on a site, and (b) an action would
increase pathways to their exposure; or (c) an action would introduce new activities or processes using
hazardous materials.
Phase I Environmental Site Assessments (ESAs) and Phase II Environmental Site Investigations (ESIs) of
the development sites were prepared to determine whether the proposed actions could lead to increased
exposure of people or the environment to hazardous materials and whether the increased exposure would
result in significant adverse impacts. Summary reports of the Phase I ESAs and Phase II ESIs are included
in Appendix IV, and the findings of the reports are summarized below.
Phase I Environmental Site Assessments (ESAs)
Phase I ESAs of the project site were prepared in October 2014 by GEI Consultants, Inc. in accordance
with ASTM E1527-05, Standard Practice for Environmental Site Assessments: Phase I Environmental Site
Assessment Process, to determine whether the proposed actions could lead to increased exposure of people
or the environment to hazardous materials and whether the increased exposure would result in significant
adverse impacts. The findings of these reports are summarized below.
Fernside Place Site (Block 15784, Lot 1) Phase I ESA
As outlined in the October 2014 Fernside Place Site Phase I ESA, GEI’s analysis of historical information
indicated that from at least 1933, the site was occupied by a three-story structure that was constructed as a
hotel and later used as a community center/clinic. The building was demolished between 1980 and 1983.
Visual inspections of the site by GEI indicated no visual evidence for any industrial dumping, stained soils,
stressed vegetation, tanks, or drums that might result in the significant contamination of the site, and no
operations involving the use of toxic or hazardous materials were present on the site at the time of the visual
inspection. An unidentified cement cover is located on the southeastern portion of the site, which may be
associated with an old cesspool. Given the historical uses of the building that previously occupied the site,
it is GEI’s opinion that if any discharges were made to this cesspool, they would be unlikely to have
impacted the underlying soils. The Phase I ESA also indicated that no gasoline filling stations, auto repair
facilities, or heavy manufacturing/industrial operations were identified adjacent/contiguous to the project
site, and the site was not included in any of the federal, state, or City environmental agency reports.
The Phase I ESA for the Fernside Place Site concluded that no recognized environmental conditions
(RECs), historical RECs, or controlled RECs were identified for the site.
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-9
Beach 13th Street Site (Block 15620, Lots 1 & 11) Phase I ESA
As outlined in the October 2014 Beach 13th Street Site Phase I ESA, GEI’s analysis of historical information
indicated that the site was partially occupied by two residential dwellings from circa 1933 until sometime
before 1955. After 1955, the lot was reformed into its current triangular shape as a result of the
development/widening of Seagirt Boulevard, and there have been no building or structures on the site since
1955. Visual inspections of the site indicated no visual evidence for any industrial dumping, stained soils,
stressed vegetation, tanks, or drums that might result in the significant contamination of the site, and no
operations involving the use of toxic or hazardous materials were present on the site at the site of the visual
inspection. No drainage systems or evidence of underground storage tanks were observed at the time of
GEI’s visual inspection. The Phase I ESA also indicated that no gasoline filling stations, auto repair
facilities, or heavy manufacturing/industrial operations were identified adjacent/contiguous to the project
site, and the site was not included in any of the federal, state, or City environmental agency reports.
The Phase I ESA for the Beach 13th Street Site concluded that no RECs, historical RECs, or controlled
RECs were identified for the site. Therefore, a detailed hazardous materials analysis is not warranted.
The Phase I ESAs were reviewed by the New York City Department of Environmental Protection (DEP).
In a letter dated July 23, 2015, DEP stated that, based on the historical on-site and/or surrounding area land
uses, a Phase II ESA is necessary to adequately identify/characterize the surface and subsurface soils of the
development sites (see Appendix IV). DEP also stated that a Phase II Work Plan and Health and Safety
Plan (HASP) should be submitted to DEP for review and approval prior to the start of any fieldwork. Based
on DEP’s recommendation, a Phase II Work Plan and HASP were prepared by GEI in November 2015 and
were submitted to DEP for their review. In a letter dated December 11, 2015, DEP provided comments on
the Work Plan and indicated that, upon incorporating of these comments, the Phase II Work Plan and HASP
for the proposed project was acceptable (refer to Appendix IV). Subsequent to DEP’s review and approval
of the Phase II Work Plan and HASP, a Phase II ESI was prepared for the project site, which is summarized
below.
Phase II Environmental Site Investigations (ESIs)
A Phase II ESI for the development sites was prepared by GEI in February 2016 and subsequently reviewed
and approved by DEP. The Phase II ESI was conducted in accordance with the DEP-approved Phase II
Work Plan and HASP.
Fernside Place Site(Block 15784, Lot 1) Phase II ESI
A geophysical investigation was conducted during the investigation, which identified an underground
storage tank (UST) fill port and underground anomaly on the western side of the development site. This
UST is suspected to be a former fuel oil storage tank associated with the prior building structure. Urban fill
soils containing Semi-Volatile Organic Compounds (SVOCs) and total metals above Soil Cleanup
Objectives (SCOs) were identified. The concentrations found are relatively low level and typical for the
metropolitan New York area. Groundwater quality was not found to be impacted by historical site use or
prior occupant operations. Low level metals were found in groundwater and can be attributable to the
presence of urban fill soil conditions and sea water intrusion. Results of the soil vapor investigation did not
identify any chlorinated compounds. Soil vapors containing hydro-carbon based compounds were found
above laboratory detection limits. These compounds are likely partially derived from the urban fill soil and
ambient air sources, since the outdoor air sample collected also identified some similar compounds.
Based on these findings the Phase II ESI recommended that the UST identified on the Fernside Place Site
be properly closed, removed, and disposed in accordance with New York State Department of
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-10
Environmental Conservation (NYSDEC) petroleum bulk storage guidelines. Any exported urban fill soils
should be handled and disposed in accordance with NYSDEC guidelines and recommendations. The Phase
II ESI also recommended that any new building construction should have an engineered vapor barrier
installed under the foundation slabs in order to prevent a potential vapor migration into the building
structure. A Remedial Action Plan (RAP) should be prepared detailing the installation of a vapor barrier
and the management requirements for urban fill exported during the construction. A Construction Health
and Safety Plan (CHASP) should be prepared and followed during construction to protect site workers
during construction.
Beach 13th Street Site (Block 15620, Lots 1 & 11) Phase II ESI
The Phase II ESI of the Beach 13th Street Site did not identify soil, groundwater, or soil vapor chemical
compounds above typical background conditions. Low level metals (magnesium, manganese, and sodium)
concentrations identified in groundwater are compatible to typical sea water concentrations. The
development site is near the Atlantic Ocean, and it is likely that groundwater has been intruded by sea water,
as shown by the elevated manganese, magnesium, and sodium concentrations. Soil vapor compounds
identified are likely partially derived from ambient air sources from vehicular traffic on Seagirt Boulevard,
since the outdoor air sample collected also identified some similar compounds.
Remedial Action Plan and Construction Health and Safety Plan
Based on the findings of the Phase II ESIs prepared for the development sites, a RAP and CHASP were
prepared for both development sites in May 2016, which, along with the Phase II ESIs, was reviewed and
approved by DEP. The RAP was prepared to describe the mitigating procedures necessary to property
remove the potential UST and remediate SVOCs and metals present in the surface urban fill, as identified
in the Phase II ESIs. The May 2016 RAP involves the excavation, staging, and disposal of the UST and
urban fill soil, the installation of vapor barriers, and the preparation of a Remedial Action Report (RAR).
The May 2016 CHASP addresses worker and community health and safety during redevelopment.
DEP reviewed the May 2016 RAP and CHASP for the development sites and found the documents
acceptable (see DEP correspondence in Appendix IV). DEP further instructed the applicant that, at the
completion of the project, a Professional Engineer (P.E.) certified Remedial Closure Report should be
submitted to DEP for review and approval for the proposed project. The P.E. certified Remedial Closure
Report should indicate that all remedial requirements have been properly implemented (i.e., installation of
vapor barriers; transportation/disposal manifests for removal and disposal of soil in accordance with
NYSDEC regulations; and two feet of DEP-approved certified clean fill/top soil capping requirement in
any landscaped/grass covered areas not capped with concrete/asphalt, etc.).
Based on DEP’s review of the Phase I ESA, Phase II ESI, RAP, and CHASP, the proposed project would
not result in significant adverse hazardous materials impacts.
Water and Sewer Infrastructure
As stated in the CEQR Technical Manual, infrastructure comprises the physical systems that support
populations and include structures such as water mains and sewer, bridges and tunnels, roadways, and
electrical substations. Because these are static structures, they have defined capacities that may be affected
by growth in a particular area. The CEQR infrastructure analysis focuses on the City’s water and sewer
infrastructure, as other types of infrastructure are addressed in other analysis areas.
A preliminary water supply infrastructure analysis is needed if a project: (a) would result in an exceptionally
large demand for water (e.g., those that are projected to use more than one million gallons per day, such as
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-11
power plants, very large cooling systems, or large developments); or (b) is located in an area that
experiences low water pressure (e.g., areas at the end of the water supply distribution systems such as the
Rockaway Peninsula and Coney Island).
As the development sites are located in the Far Rockaways neighborhood on the Rockaway Peninsula, a
preliminary water supply analysis is warranted and is provided in Attachment F, “Water and Sewer
Infrastructure.” As discussed therein, while the proposed project would generate increased demand on the
New York City Department of Environmental Protection (DEP) water supply system as compared to No-
Action conditions, the water demand associated with the proposed project would not adversely impact the
City’s water supply or system water pressure. In total, the proposed project would generate water demands
of approximately 12,246 gallons per day, with 9,625 gpd of demand generated by the Fernside Place Site
development and 2,622 gpd generated by the Beach 13th Street Site development. The proposed project
would be served by existing water mains adjacent to the development sites. The estimated water demands
associated with the proposed project would represent approximately 0.001 percent of the City’s average
daily water supply of approximately one billion gpd and would, therefore, not adversely impact the City’s
water supply or system water pressure.
Transportation
The objective of a transportation analysis is to determine whether a proposed action may have a potentially
significant adverse impact on traffic operations and mobility, public transportation facilities and services,
pedestrian elements and flow, safety of all roadway users (pedestrians, bicyclists, and vehicles), and/or on-
and off-street parking or goods movement.
The CEQR Technical Manual identifies minimum incremental development densities that potentially
required a transportation analysis. Development at less than the development densities shown in Table 16-
1 of the CEQR Technical Manual generally result in fewer than 50 peak hour vehicle trips, 200 peak hour
subway/rail or bus transit riders, and 200 peak hour pedestrian trips, where significant adverse impacts are
considered unlikely. In Zone 5 (which includes the development sites), the development thresholds are an
increment of 100 residential units, 40,000 gross square feet (gsf) of office space, 10,000 gsf of regional
retail, local retail, or restaurant uses, 15,000 gsf of community facility uses, or 60 off-street parking spaces.
For project that involve a mix of land uses, it is appropriate to conduct a preliminary trip generation
assessment for each land use or use a weighted average to determine whether the total site generated trips
exceed the threshold for analysis. While the proposed project, which would include residential, retail, and
parking uses, would not exceed the residential or parking thresholds on their own, the proposed project
would facilitate the development of a net 12,023 gsf of retail floor area, above the CEQR analysis threshold
of 10,000 gsf of retail.
According to the CEQR Technical Manual, if an action would result in development greater than one of the
minimum development densities in Table 16-1, a Level 1 (Project Trip Generation) Screening Assessment
should be prepared. Except in unusual circumstances, if a proposed action is projected to result in fewer
than 50 peak hour vehicle trips, 200 peak hour subway/rail or bus transit riders, or 200 peak hour pedestrian
trips, it is unlikely that further analysis would be necessary. If the trip generation screening thresholds are
exceeded, a Level 2 (Project-Generated Trip Assignment) Screening Assessment should be prepared to
determine if the proposed action would generate or divert 50 peak hour vehicle trips through any
intersection, 200 peak hour subway trips through a single station, 50 peak hour bus trips on a single bus
route in the peak direction, or 200 peak hour pedestrian trips through a single pedestrian element. If any of
these Level 2 screening thresholds are met or exceeded, a detailed analysis for the respective mode is
required.
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-12
Level 1 (Trip Generation) Screening Assessment
A travel demand forecast was prepared for the RWCDS to determine if the proposed actions would exceed
the Level 1 Screening Assessment thresholds. As the RWCDS conservatively assumes that the development
sites would remain vacant (as under existing conditions) in the 2018 No-Action condition, and therefore
would not generate trips, the With-Action project-generated trips would represent the net increment. Table
B-2 shows the transportation planning factors used to forecast the travel demand generated by the proposed
project in the weekday AM, midday, and PM and Saturday midday peak hours, including trip generation
rates, temporal and directional distributions, mode choice factors, and vehicle occupancy rates. As shown
in Table B-2, the local retail assumptions are based on the 2014 CEQR Technical Manual and the 2008
Rockaway Neighborhood Rezoning EAS (modified to reflect a lower subway share and higher auto share
more reflective of the development sites’ locations). The assumptions for the residential uses are based on
the CEQR Technical Manual and 2009-2013 ACS data for area census tracts. A ten percent linked trip
credit was applied to the proposed local retail uses in accordance with CEQR Technical Manual guidelines.
As the two development sites (the Beach 13th Street Site and the Fernside Place Site) are located over half
a mile apart, and are therefore expected to experience separate travel patterns with minimal to no overlap,
separate travel demand forecasts were prepared for the two proposed developments using the transportation
planning factors outlined above. Table B-3 presents the person and vehicle trips expected to be generated
by development on the Beach 13th Street Site and the Fernside Place Site, respectively, as a result of the
proposed actions.
Development on the Fernside Place Site would generate approximately 54, 210, 128, and 144 person trips
in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Development on the
Beach 13th Street Site is expected to generate approximately 36, 224, 118, and 138 person trips in the
weekday AM, midday, and PM and Saturday midday peak hours, respectively. Under the RWCDS, total
development facilitated by the proposed actions would generate approximately 90 person trips in the
weekday AM, 434 in the weekday midday, 246 in the weekday PM, and 282 in the Saturday midday peak
hours. Transportation demand by mode is discussed in detail below.
Traffic
As shown in Table B-3, development on the Fernside Place Site would generate 12, 16, 15, and 16 vehicle
trips in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Development on
the Beach 13th Street Site is expected to generate two, 16, eight, and ten vehicle trips in the weekday AM,
midday, and PM and Saturday midday peak hours, respectively. Under the RWCDS, total development
facilitated by the proposed actions would generate a total of 14 vehicle trips in the weekday AM, 32 in the
weekday midday, 23 in the weekday PM, and 26 in the Saturday midday peak hours. Per CEQR Technical
Manual Level 1 (Trip Generation) Screening Assessment guidelines, further traffic analysis is not
warranted as development facilitated by the proposed actions would not generate more than 50 vehicle trips
in any of the four peak hours.
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-13
Table B-2: Transportation Planning Factors
Land Use:
Size/Units: Fernside Place Site: 5,629 gsf 27 DU
Beach 13th Street Site: 6,394 gsf 0 DU
Trip Generation:
Weekday
Saturday
Temporal Distribution:
AM
MD
PM
SatMD
Modal Splits:
Auto
Taxi
Subway
Bus
Walk/Other
In/Out Splits: In Out In Out
AM 50% 50% 20.0% 80.0%
MD 50% 50% 50.0% 50.0%
PM 50% 50% 65.0% 35.0%
Sat MD 50% 50% 50.0% 50.0%
Vehicle Occupancy:
Auto
Taxi
Truck Trip Generation:
AM
MD
PM
Sat MD
In Out In Out
AM/MD/PM 50.0% 50.0% 50.0% 50.0%
Notes :
( 1) 2014 City Environmental Quality Review (CEQR) Technical Manual.
( 2) Rockaway Neighborhood Rezoning EAS (2008). Adjusted to reduce subway and increase auto and bus shares.
( 3)
( 1)
1.65
1.40
( 1)
0.35
per 1,000 sf
10.0%
70.0%
100.0%
( 2)
( 2)
( 2)
AM/PM/SAT
10.0%
0.0%
10.0%
( 1)
3.0%
19.0%
10.0%
10.0%
Local Retail Residential
205
240
per 1,000 sf
( 1)
( 3)
( 1)
8.075
9.600
per DU
( 1)
10.0%
5.0%
11.0%
8.0%
17.8%
30.7%
0.9%
39.7%
AM/MD/PM
1.07
( 3)
( 2)
100.0%
10.9%
( 1)
per DU
0.06
( 1)
1.40
11.0%
Modal split data and vehicle occupany based on ACS 2009-2013 Means of Transportation to work for Queens
census tracts 998.0 and 998.02.
8.0%
11.0%
2.0%
9.0%
2.0%
9.0%
12.0%
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-14
Table B-3: Travel Demand Forecast
Note: 10 percent linked trip applied to local retail.
Land Use:
Size/Units: 5,629 gsf 27 DU 6,394 gsf
Peak Hour Trips:
AM
MD
PM
Sat MD
Person Trips:
In Out In Out In Out In Out In Out
AM Auto 2 2 3 7 5 9 2 2 7 11
Taxi 0 0 0 0 0 0 0 0 0 0
Subway 2 2 1 5 3 7 1 1 4 8
Bus 2 2 1 3 3 5 2 2 5 7
Walk/Other 10 10 0 2 10 12 13 13 23 25
Total 16 16 5 17 21 33 18 18 39 51
In Out In Out In Out In Out In Out
MD Auto 10 10 2 2 12 12 13 13 25 25
Taxi 0 0 0 0 0 0 0 0 0 0
Subway 10 10 2 2 12 12 9 9 21 21
Bus 10 10 1 1 11 11 11 11 22 22
Walk/Other 69 69 1 1 70 70 79 79 149 149
Total 99 99 6 6 105 105 112 112 217 217
In Out In Out In Out In Out In Out
PM Auto 5 5 6 3 11 8 7 7 18 15
Taxi 0 0 0 0 0 0 0 0 0 0
Subway 5 5 5 3 10 8 5 5 15 13
Bus 5 5 3 1 8 6 6 6 14 12
Walk/Other 37 37 2 1 39 38 41 41 80 79
Total 52 52 16 8 68 60 59 59 127 119
In Out In Out In Out In Out In Out
Sat MD Auto 6 6 4 4 10 10 8 8 18 18
Taxi 0 0 0 0 0 0 0 0 0 0
Subway 6 6 3 3 9 9 6 6 15 15
Bus 6 6 2 2 8 8 7 7 15 15
Walk/Other 43 43 2 2 45 45 48 48 93 93
Total 61 61 11 11 72 72 69 69 141 141
Vehicle Trips :
In Out In Out In Out In Out In Out
AM Auto (Total) 1 1 3 7 4 8 1 1 5 9
Taxi 0 0 0 0 0 0 0 0 0 0
Taxi Balanced 0 0 0 0 0 0 0 0 0 0
Truck 0 0 0 0 0 0 0 0 0 0
Total 1 1 3 7 4 8 1 1 5 9
In Out In Out In Out In Out In Out
MD Auto (Total) 6 6 2 2 8 8 8 8 16 16
Taxi 0 0 0 0 0 0 0 0 0 0
Taxi Balanced 0 0 0 0 0 0 0 0 0 0
Truck 0 0 0 0 0 0 0 0 0 0
Total 6 6 2 2 8 8 8 8 16 16
In Out In Out In Out In Out In Out
PM Auto (Total) 3 3 6 3 9 6 4 4 13 10
Taxi 0 0 0 0 0 0 0 0 0 0
Taxi Balanced 0 0 0 0 0 0 0 0 0 0
Truck 0 0 0 0 0 0 0 0 0 0
Total 3 3 6 3 9 6 4 4 13 10
In Out In Out In Out In Out In Out
Sat MD Auto (Total) 4 4 4 4 8 8 5 5 13 13
Taxi 0 0 0 0 0 0 0 0 0 0
Taxi Balanced 0 0 0 0 0 0 0 0 0 0
Truck 0 0 0 0 0 0 0 0 0 0
Total 4 4 4 4 8 8 5 5 13 13
22 144
Fernside Place Site
198 12 210
104 24 128
Local Retail Residential Total
32 22
224
118
138
Beach 13th
Street Site
Total
90
434
246
282
RWCDS
(Both Sites)
54
Local Retail
36
122
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-15
Parking
As discussed above, a total of 59 off-street parking spaces are planned for the two development parcels –
43 spaces on the Fernside Place Site and 16 spaces on the Beach 13th Street Site. The number of spaces
dedicated for each land use meets the zoning requirements – a total of 53 spaces (53 on the Fernside Place
Site and 16 on the Beach 13th Street Site) is required. Additionally, the 2014 CEQR Technical Manual states
that if a detailed traffic analysis is warranted, a Level 2 (Action-Generated Trip Assignment) Screening
Assessment may likely be warranted. Therefore, as a Level 2 Screening Assessment of traffic is not
warranted and planned off-street parking on the development sites is expected to accommodate all action-
generated parking demand, a detailed parking analysis is not warranted.
Transit
As shown in Table B-3, development on the Fernside Place Site would generate ten, 24, 18, and 18, subway
trips in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Bus-only trips
associated with the Fernside Place Site are expected to be eight, 22, 14, and 16 in the weekday AM, midday,
and PM and Saturday midday peak hours, respectively.
Development on the Beach 13th Street Site is expected to generate two, 18, ten, and 12 subway trips in the
weekday AM, midday, and PM and Saturday midday peak hours, respectively. Bus-only trips associated
with the Beach 13th Street Site are expected to be four, 22, 12, and 14 in the weekday AM, midday, and PM
and Saturday midday peak hours, respectively.
Under the RWCDS, total development facilitated by the proposed actions would generate a total of 12
subway trips in the weekday AM, 42 in the weekday midday, 28 in the weekday PM, and 30 in the Saturday
midday peak hours. The proposed actions would also generate a total of 12 bus-only trips in the weekday
AM, 44 in the weekday midday, 26 in the weekday PM, and 30 in the Saturday midday peak hours. Per
CEQR Technical Manual Level 1 Screening Assessment guidelines, further transit analysis is not warranted
as development facilitated by the proposed actions would not generate more than 200 transit-oriented trips
in any of the four peak hours.
Pedestrians
As shown in Table B-3, development on the Fernside Place Site would generate 22, 140, 77, and 90 walk-
only trips in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Pedestrian
trips (including walk-only and walk trips en route to/from subway and bus stops) associated with the
Fernside Place Site are expected to total 40, 186, 109, and 124 in the weekday AM, midday, and PM and
Saturday midday peak hours, respectively.
Development on the Beach 13tH Street Site is expected to generate 26, 158, 82, and 96 walk-only trips in
the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Pedestrian trips
(including walk-only and walk trips en route to/from subway and bus stops) associated with the Beach 13th
Street Site are expected to total 32, 198, 104, and 122 in the weekday AM, midday, and PM and Saturday
midday peak hours, respectively.
Under the RWCDS, total development facilitated by the proposed actions would generate a total of 48 walk-
only trips in the weekday AM, 298 in the weekday midday, 159 in the weekday PM, and 186 in the Saturday
midday peak hours. A total of 72 pedestrian trips in the weekday AM, 384 in the weekday midday, 213 in
the weekday PM, and 246 in the Saturday midday peak hours are expected to be generated.
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
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Per CEQR Technical Manual Level 1 Screening Assessment guidelines, the action-generated pedestrian
trips would exceed the Level 1 threshold of 200 action-generated pedestrian trips during the weekday
midday and PM and Saturday midday peak hours. However, as the two development sites – the Beach 13th
Street Site and the Fernside Place Site – are located over half a mile apart, they are expected to experience
distinct travel patterns and demand distributions. As a result, trip overlapping is unlikely to occur.
Therefore, in general, pedestrian demand and trip routes associated with each development should be
considered exclusive.
As discussed above, the Beach 13th Street Site and the Fernside Place Site are each expected to generate
pedestrian demand below 200 during the weekday AM, midday, and PM; and Saturday midday peak hours.
Therefore, although aggregate pedestrian trips generated by the two development sites would exceed the
200 or more peak hour trip threshold, no pedestrian element within the vicinity of the rezoning’s
development sites is expected to be traversed by 200 or more action-generated pedestrians and an a
quantitative pedestrian analysis is not warranted.
Air Quality
According to the guidelines provided in the CEQR Technical Manual, air quality analyses are conducted in
order to assess the effects of an action on ambient air quality (i.e., the quality of the surrounding air) or
effects on the project because of ambient air quality. Air quality can be affected by pollutants produced by
motor vehicles (“mobile sources”) and by fixed facilities (“stationary sources”). As per the CEQR Technical
Manual, an air quality assessment should be carried out for actions that can result in either significant
adverse mobile source or stationary source air quality impacts. Per the EAS Part II Form, further analysis
of air quality mobile sources from action-generated vehicle strips has been screened out in accordance with
CEQR Technical Manual assessment screening thresholds.
Stationary Source Screening
Stationary source impacts could occur with actions that create new stationary sources or pollutants, such as
emission stacks from industrial plants, hospitals, or other large institutional uses, or a building’s boiler
stacks used for heating/hot water, ventilation, and air conditioning (HVAC) systems, which can affect
surrounding uses. Impacts from boiler emissions associated with a development are a function of fuel type,
stack height, minimum distances of the stack on the source building to the closest building of similar or
greater height, building use, and the square footage of the source building. In addition, stationary source
impacts can occur when new uses are added near existing or planned emission stacks, or when new
structures are added near such stacks and those structures change the dispersion of emissions from the
stacks so that they affect surrounding uses.
The proposed project would use fossil fuels for HVAC purposes. . As outlined in the CEQR Technical
Manual, the preliminary screening analysis for HVAC systems uses Figure 17-3 of the CEQR Technical
Manual, which was specifically developed to predict the threshold of development size below which a
project would not likely have a significant impact and is applicable for sources at least 30 feet from the
nearest building of similar of greater height. Figure 17-3 indicates the size of the proposed development
and distance to the nearest building of similar to greater height than the stack height of the proposed
building. If the distance between the source and receptor buildings is less than or equal to the threshold
distance (i.e., falls above the curve on the nomograph), further analysis is required using the U.S.
Environmental Protection Agency’s (EPA’s) AERSCREEN or AERMOD models. If the source building is
taller than the receptor building or the distance between the two buildings falls below the applicable curve
provided in the CEQR Technical Manual nomographs, a potential significant impact due to boiler stack
emissions is unlikely and no further analysis is needed.
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-17
Fernside Place Site Residential Building
A survey of existing residential land uses and other sensitive receptor sites within 400 feet of the Fernside
Place Site residential building was conducted through field observation and use of the New York City Open
Accessible Space Information System (OASIS) mapping network system. Based on this review it was
determined that the six-story residential building complex on the east side of Fernside Place (20-20 Seagirt
Boulevard) is the most proximate existing sensitive receptor of equal or greater height than the proposed
Fernside Place Site residential building. As this building is the closest sensitive receptor of similar or greater
height, if the Fernside Place Site residential building would not cause significant impacts at this site, no
impacts would occur at sensitive receptors located further from the development site.
The nomograph screening was performed based on an anticipated minimum distance between the Fernside
Place Site and the most proximate six-story residential building at 20-20 Seagirt Boulevard (approximately
130 feet)4 and the Fernside Place Site residential building’s total gross floor area (31,850 gsf). Based on the
nomograph screening (presented in Figure B-3), it was determined that the Fernside Place Site residential
building’s HVAC system would not result in significant adverse impacts on 20-20 Seagirt Boulevard (the
most proximate sensitive receptor). As such, a detailed HVAC analysis is not warranted.
Fernside Place Site Retail Building
Because the Fernside Place Site retail building is located less than 30 feet from the Fernside Place Site
residential building, the CEQR Technical Manual screening analysis is not applicable for this building.
Therefore, a more detailed project-on-project analysis, using the EPA AERSCREEN model, was
conducted, which is provided in Attachment G, “Air Quality.” As presented in Attachment G, potential
emissions of the PM2.5, NO2, and SO2 from HVAC system of the Fernside Place Site retail building would
not significantly impact the proposed Fernside Place Site residential building (the nearest sensitive receptor
of equal or greater height), and no stack setback or E-designation is warranted for the retail building.
Beach 13th Street Site Retail Building
Based on a survey of existing residential land uses and other sensitive receptor sites within 400 feet of the
Beach 13th Street Site retail building, it was determined that the three-story Bais Yaakov Ateres Miriam
private school, located directly north of the Beach 13th Street Site at 12-14 Heyson Road is the most
proximate existing sensitive receptor of equal or greater height than the proposed Beach 13th Street Site
retail building. As this building is the closest sensitive receptor of similar or greater height, if the Beach
13th Street Site retail building would not cause significant impacts at this site, no impacts would occur at
sensitive receptors located further from the development site.
The nomograph screening was performed based on an anticipated minimum distance between the Beach
13th Street Site and the Bais Yaakov Ateres Miriam private school (approximately 50 feet) and the Parcel 2
retail building’s total gross floor area (6,394 gsf). Based on the nomograph screening (presented in Figure
B-4), it was determined that the Beach 13th Street Site retail building’s HVAC system would not result in
significant adverse impacts on the Bais Yaakov Ateres Miriam private school (the most proximate sensitive
receptor). As such, a detailed HVAC analysis is not warranted.
4 While the Fernside Place Site residential building would be setback from Fernside Place, for conservative analysis
purposes, the distance between the 20-20 Seagirt Boulevard residential building and the Fernside Place Site lot line
was used in the screening analysis.
Seagirt Boulevard Rezonings EAS Figure B-3
Nomograph Screening Fernside Place Site
130’
31,850
gsf
Seagirt Boulevard Rezonings EAS Figure B-4Nomograph Screening - Beach 13th Street Site Retail Building
6,394gsf
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-18
Noise
The purpose of a noise analysis is to determine both a proposed project’s potential effects on sensitive noise
receptors and the effects of ambient noise levels on new sensitive uses introduced by the proposed project.
The principal types of noise sources affecting the New York City environment are mobile sources (primarily
motor vehicles), stationary sources (typically machinery or mechanical equipment associated with
manufacturing operations or building HVAC systems), and construction noise. Per the EAS Part II Form,
further analysis of stationary noise sources has been screened out in accordance with CEQR Technical
Manual assessment screening thresholds.
As stated in the CEQR Technical Manual, regarding mobile sources, an initial noise assessment may be
appropriate if a proposed project would: (a) generate or reroute traffic; (b) introduce a new receptor near a
heavily trafficked thoroughfare; (c) introduce a new receptor within one mile of an existing flight path; (d)
cause aircraft to fly through existing or new flight paths over or within one mile of a receptor; (e) be located
within 1,500 feet of existing rail activity and have a direct line of sight to that rail facility; or (f) add rail
activity to existing or new rail lines within 1,500 feet of, and have a direct line of sight to, a receptor.
The area surrounding the development sites are primarily developed with established residential
neighborhoods. The sources of existing community noise within the project area are automobiles, rail
traffic, and aircrafts departing from the John F. Kennedy (JFK) Airport. Children playing at area
playgrounds may also contribute to the noise environment, however, there are no major stationary sources
of noise in the immediate area.
Noise from the elevated MTA A train is noticeable in the vicinity of the project area, as elevated trains tend
to affect a larger area than trains traveling along an at-grade track. In addition, physical characteristics of
the elevated train structure also tend to increase the magnitude of sound energy created. However, at its
closest point, the elevated MTA A train is located approximately 1,500 feet to the northwest of the Fernside
Place Site, and no direct lines of sight to the rail line are provided from either development sites.
The CEQR Technical Manual states that an aircraft assessment is warranted if a project introduces a
sensitive receptor within one mile of an existing flight path (horizontal distance parallel to the ground). As
the development sites are located within close proximity of JFK Airport (approximately two miles north of
the sites), the impacts from aircraft noise were considered. While noise resulting from overhead inbound
flights into JFK Airport is evident at the development sites, the sites do not fall within a marginally
unacceptable Federal Aviation Administration (FAA) noise exposure contour, as they are outside the Ldn
65 dBA (Day-Night Average Sound Level) contour of JFK Airport according to the 2013 JFK Airport
Runway 4L/22R Improvements Environmental Assessment (EA).5 The CEQR Technical Manual states that
if the development sites are not located within an Ldn 65 contour or greater, it is not likely that the proposed
actions would result in a significant adverse noise impact and therefore, no further analysis is necessary.
The CEQR Technical Manual indicates that if existing noise passenger car equivalents (PCEs) are not
increased by 100 percent or more (which is equivalent to an increase of 3 dBA or more), it is likely that the
proposed project would not cause a significant adverse vehicular noise impact, and, therefore, no further
vehicular noise analysis is needed. As discussed in the “Transportation” section, above, under the RWCDS,
the proposed actions are expected to generate a maximum of 30 vehicle trips in any peak hour. Most of the
vehicles traveling to the development sites would likely use Seagirt Boulevard, which carries a two-way
peak hour traffic volume of about 1,300 vehicles per hour (vph).6 As such, the net number of peak hour
vehicle trips generated by the proposed project would not double traffic volumes along this corridor. The
5 Exhibit 5-2: 2015 Proposed Action Noise Exposure Contour, p 121. 6 PlaNYC Far Rockaway Park EAS (2009).
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-19
development sites are located in a well-developed area, and the incremental traffic from the proposed
project would not have the potential to result in significant adverse mobile source noise impacts.
Neighborhood Character
Pursuant to the CEQR Technical Manual, an assessment of neighborhood character is needed when a
proposed project has the potential to result in significant adverse impacts in any of the following technical
areas: land use, zoning, and public policy; socioeconomic conditions; open space; historic and cultural
resources; urban design and visual resources; shadows; transportation; or noise. An assessment may also
be appropriate if the project would result in a combination of moderate effects to several elements that
cumulatively may affect neighborhood character. According to the CEQR Technical Manual, a “moderate”
effect is generally defined as an effect considered reasonably close to the significant adverse impact
threshold for a particular technical analysis area. As the proposed actions required detailed analyses of land
use, zoning, and public policy (Attachment C) and urban design and visual resources (Attachment D), a
supplemental screening analysis is necessary to determine if a detailed neighborhood character analysis is
warranted.
The proposed actions would not adversely affect any component of the surrounding area’s neighborhood
character. The proposed actions would facilitate the redevelopment of two underutilized sites into
productive residential and commercial developments by 2018. The proposed project would not conflict
with the surrounding activities, nor would they significantly impact land use patterns. The proposed zoning
map amendments are intended to encourage retail development in appropriate locations along Seagirt
Boulevard near existing retail and recreation uses. The proposed residential uses would further expand
housing options in the area and the proposed retail uses would increase the availability of convenient
amenities and services to the neighborhood.
Moreover, the proposed actions are not expected to result in any significant adverse impacts on the technical
areas relating to neighborhood character, including land use, socioeconomic conditions, urban design and
visual resources, historic and cultural resources, traffic, and noise. Therefore, the proposed actions and the
resultant proposed project would not result in a significant adverse impact to neighborhood character.
Construction
Although usually temporary, construction impacts can include noticeable and disruptive effects from an
action that is associated with construction or could induce construction. Determination of their significance
and need for mitigation is generally based on the duration and magnitude of the impacts. Based on CEQR
Technical Manual guidelines, where the duration of construction is expected to be short-term (i.e., less than
two years), any impacts resulting from construction generally do not required detailed assessment. Under
the RWCDS, the proposed actions would result in the construction of three new buildings on the
development sites. It is expected that any construction associated with the proposed actions would be
completed within approximately 15 months.
Most construction activity would take place Monday through Friday, although the delivery and installation
of certain equipment could occur on weekend days. Hours of construction are regulated by the DOB and
apply in all areas of the City. In accordance with those regulations, almost all work would occur between 7
AM and 6 PM on weekdays, although some workers would arrive and begin to prepare work areas before
7 AM. Occasionally, Saturday or overtime hours could be required to complete time-sensitive tasks.
Weekend work requires a permit from the DOB and, in certain instances, approval of a noise mitigation
plan from DEP under the New York City Noise Code.
Seagirt Boulevard Rezonings EAS Attachment B: Supplemental Screening
B-20
Construction activities may result in short-term disruption of both traffic and pedestrian movements in the
vicinity of the development sites. This would occur primarily due to the potential temporary loss of curbside
lanes from the staging of equipment and the movement of materials to and from the development sites.
Most construction traffic would take place outside of the AM and PM traffic peak hours in vicinity of the
development sites due to typical construction hours. Additionally, construction may at times result in
temporary closings of sidewalks adjacent to the development sites in order to accommodate construction
vehicles, equipment, and supplies. During construction, access to all adjacent residences and other uses
would be maintained according to regulations established by the DOB. Given the limited duration of any
obstructions, these conditions would not result in significant adverse impacts on traffic and transportation
conditions.
Noise associated with construction would be limited to typical construction activities and would be subject
to compliance with the New York City Noise Code and the United States Environmental Protection Agency
(EPA) noise emission standards for construction equipment. These controls and the temporary nature of
construction activity would assure that there would be no significant adverse noise impacts associated with
construction activity. In addition, in accordance with the (E) designation to be assigned to the development
sites, all construction activities associated with the proposed project would be in compliance with a HASP,
to be reviewed and approved by DEP.
While construction of the proposed project would result in temporary disruption in the surrounding area,
including noise, dust, and traffic associated with the delivery of materials and arrival of workers on the
development sites, the incremental effects of the RWCDS development, if any, would be negligible.
Therefore, no impacts from construction are expected under the RWCDS.
ATTACHMENT C
LAND USE, ZONING, AND PUBLIC POLICY
C-1
Seagirt Boulevard Rezonings EAS
Attachment C: Land Use, Zoning, and Public Policy
I. INTRODUCTION
Under City Environmental Quality Review (CEQR) Technical Manual guidelines, a land use analysis
evaluates the use and development trends in the area that may be affected by a proposed action and
determines whether that proposed action is compatible with those conditions or may affect them. Similarly,
the analysis considers the proposed action’s compliance with, and effect on, the area’s zoning and other
applicable public policies.
The proposed actions consist of two related zoning map amendments (the “proposed actions”). The first
rezoning action (ULURP No. 160033ZMQ) would map a C1-3 commercial overlay over an existing R5
district on Queens Block 15620, Lots 1 and 11 (the “Beach 13th Street Site”). This action would facilitate a
proposal by the applicant to develop the Beach 13th Street Site with a 6,394-gsf single-story retail building
and a surface parking lot. The second rezoning action (ULURP No. 160351ZMQ) would rezone Queens
Block 15784, Lot 1 (the “Fernside Place Site”) from R4-1 to R5 with a C1-3 commercial overlay. This
action would facilitate a proposal by the applicant to develop this site with two freestanding buildings: a
5,629-gsf single-story retail building with 14 accessory parking spaces and a 31,850-gsf multi-family
residential building with 27 dwelling units and 29 accessory parking spaces.
As discussed in Attachment A, “Project Description,” the proposed project is expected to completed and
operational by 2018. In the absence of the proposed actions (the No-Action condition) it is assumed that
the development sites would remain vacant, as under existing conditions. The effect of the proposed actions
represents the incremental effect on conditions resulting from the net change in development between No-
Action and With-Action conditions.
II. PRINCIPAL CONCLUSIONS
No significant adverse impacts on land use, zoning, or public policy, as defined by the guidelines for
determining impact significant set forth in the CEQR Technical Manual, are anticipated in the 2018 future
with the proposed actions in the primary and secondary study areas. The proposed actions would not directly
displace any land uses so as to adversely affect surrounding land uses, nor would it generate land uses that
would be incompatible with land uses, zoning, or public policy in the secondary study area. The proposed
actions would not create land uses or structures that would be incompatible with the underlying zoning, nor
would it cause a substantial number of existing structures to become nonconforming. The proposed actions
would not result in land uses that conflict with public policies applicable to the primary or secondary study
areas.
III. METHODLOGY
The land use, zoning, and public policy analysis has been conducted in accordance with the methodology
presented in the 2014 CEQR Technical Manual. Per CEQR Technical Manual guidelines, a preliminary
assessment, which includes a basic description of existing and future land uses and zoning, should be
provided for all projects that would affect land use or would change the zoning on a site, regardless of the
project’s anticipated effects. A preliminary public policy analysis was also prepared to determine the
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-2
potential of the proposed project to alter or conflict with applicable public policies. As the development
sites are located within the City’s Coastal Zone Boundary, an assessment for consistency with the City’s
Waterfront Revitalization Program (WRP) is provided.
In accordance with the CEQR Technical Manual, the assessment describes existing and anticipated future
conditions at a level necessary to understand the relationship of the proposed actions to such conditions,
assesses the nature of any changes to these conditions that would be created by the proposed actions, and
identifies those changes, if any, that could be significant or adverse. The assessment discusses existing and
future conditions with and without the proposed actions in the 2018 analysis year for a primary study area
and a secondary study area.
Existing land uses were identified by reviewing a combination of sources, including field surveys and
secondary sources; secondary sources included the City’s Primary Land Use Tax Lot Output (PLUTOTM)
data files for 2014, online Geographic Information System (GIS) databases such as the New York City
Open Accessible Space Information System (OASIS, http://www.oasisnyc.net) and the New York City
Department of City Planning’s (DCP’s) Zoning and Land Use (ZoLa) application
(http://gis.nyc.gov/doitt/nycitymap/). New York City Zoning Maps and the Zoning Resolution of the City
of New York were consulted to describe existing zoning districts in the study areas and provided the basis
for the zoning evaluation of the future No-Action and With-Action conditions. Relevant public policy
documents were utilized to describe existing public policies pertaining to the development sites and
surrounding area.
Study Area Definition
According to the CEQR Technical Manual, the appropriate study area for land use, zoning, and public
policy is related to the type and size of the proposed project, as well as the location and context of the area
that could be affected by the project. Study area radii vary according to these factors, with suggested study
areas ranging from 400 feet for a small project to 0.5 miles for a large project. In accordance with CEQR
Technical Manual guidelines, land use, zoning, and public policy are addressed and analyzed for two
geographical areas: (1) the developments sites (the “primary study area”); and (2) a secondary study area,
which extends 400 feet from the boundaries of the development sites. The primary and secondary study
areas are presented in Figure C-1.
IV. PRELIMINARY ASSESSMENT
Land Use and Zoning
A preliminary assessment, which includes a basic description of existing and future land use and zoning,
should be provided for all projects that would affect land use or would change the zoning on a site,
regardless of the project’s anticipated effects. However, under CEQR guidelines, if a detailed assessment
is required in the technical areas of socioeconomic conditions, neighborhood character, transportation, air
quality, noise, infrastructure, or hazardous materials, a detailed land use assessment is appropriate. As this
EAS provides a detailed infrastructure assessment, a detailed assessment of land use and zoning is
warranted and is provided in Section V, below. As a detailed assessment is warranted for the proposed
actions, the information that would typically be included in a preliminary assessment (e.g., physical setting,
present land use, zoning information, etc.) has been incorporated into the detailed assessment in Section V
below. As discussed in the detailed assessment, the proposed actions is not expected to adversely affect
land use or zoning.
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Seagirt Boulevard Rezonings EAS Figure C-1Land Use Study Areas
°0 250 500 750 1,000Feet
LegendPrimary Study Area (Development Sites)
Secondary Study Area (400-Foot Radii)
Fernside Place Site
Beach 13th St. Site
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-3
Public Policy
According to the CEQR Technical Manual, a project that would be located within areas governed by public
policies controlling land use, or that has the potential to substantially affect land use regulation or policy
controlling land use, requires an analysis of public policy. A preliminary assessment of public policy should
identify and describe any public policies, including formal plans or published reports, which pertain to the
study area. If the proposed actions could potentially alter or conflict with identified policies, a detailed
assessment should be conducted; otherwise, no further analysis of public policy is necessary.
Public policies applicable to the primary and secondary study areas are discussed below.
Primary Study Area
Waterfront Revitalization Program (WRP)
Proposed projects that are located within the designated boundaries of New York City’s Coastal Zone must
be assessed for their consistency with the City’s Waterfront Revitalization Program (WRP). The federal
Coastal Zone Management Act (CZMA) of 1972 was enacted to support and protect the distinctive
character of the waterfront and to set forth standard policies for reviewing proposed development projects
along coastlines. The program responded to City, State, and federal concerns about the deterioration and
inappropriate use of the waterfront. In accordance with the CZMA, New York State adopted its own Coastal
Management Program (CMP), which provides for local implementation when a municipality adopts a local
waterfront revitalization program, as is the case in New York City. The New York City WRP is the City’s
principal coastal zone management tool. The WRP was originally adopted in 1982 and approved by the
New York State Department of State (NYSDOS) for inclusion in the New York State CMP. The WRP
encourages coordination among all levels of government to promote sound waterfront planning and requires
consideration of the program’s goals in making land use decisions. NYSDOS administers the program at
the State level, and DCP administers it in the City. The WRP was revised and approved by the City Council
in October 1999. In August 2002, NYSDOS and federal authorities (i.e., the U.S. Army Corps of Engineers
[USACE] and the U.S. Fish and Wildlife Service [USFWS]) adopted the City’s ten WRP policies for most
of the properties located within its boundaries. The ten WRP policies deal with: (1) residential and
commercial redevelopment; (2) maritime and industrial uses; (3) use of the waterways; (4) ecological
resources; (5) water quality; (6) flooding and erosion; (7) hazardous materials; (8) public access; (9) scenic
resources; and (10) historic and cultural resources.
In October 2013, the City Council approved revisions to the WRP in order to proactively advance the long-
term goals laid out in Vision 2020: The New York City Comprehensive Waterfront Plan, released in 2011.
The changes will solidify New York City’s leadership in the area of sustainability and climate resilience
planning as one of the first major cities in the U.S. to incorporate climate change considerations into its
Coastal Zone Management Program. They will also promote a range of ecological objectives and strategies,
facilitate interagency review of permitting to preserve and enhance maritime infrastructure, and support a
thriving, sustainable working waterfront. The revisions to the WRP are currently pending State and Federal
approval in order to go in to effect.
In 2013, the New York City Panel on Climate Change (NPCC) released a report (Climate Risk Information
2013: Observations, Climate Change Projections, and Maps) outlining New York City-specific climate
change projections to help respond to climate change and accomplish PlaNYC goals. The NPCC report
predicted future City temperatures, precipitations, sea levels, and extreme event frequency for the 2020s
and 2050s. While the projections will continue to be refined in the future, current projections are useful for
present planning purposes and to facilitate decision-making in the present that can reduce existing and near-
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-4
term risks without impeding the ability to take more informed adaptive actions in the future. Specifically,
the NPCC report predicts that mean annual temperatures will increase by 2 to 3˚F and by 4 to 6.5˚F by the
2020s and 2050s, respectively; total annual precipitation will rise by 0 to 10 percent and 5 to 15 percent by
the 2020s and 2050s, respectively; sea level will rise by 4 to 11 inches and 11 to 31 inches by the 2020s
and 2050s, respectively; and by the 2050s, heat waves and heavy downpours are very likely to become
more frequent, more intense, and longer in duration, and coastal flooding is very likely to increase in
frequency, extent, and height.
As illustrated in Figure C-2, “Coastal Zone Boundary Map,” the development sites fall within the City’s
designated coastal zone, and therefore the proposed actions must be assessed for its consistency with the
policies of the City’s Local Waterfront Revitalization Program (LWRP) in accordance with the guidelines
of the CEQR Technical Manual. The preliminary evaluation requires completion of the Consistency
Assessment Form (CAF), which was developed by the New York City Department of City Planning (DCP)
to help applicants identify which WRP policies apply to a specific action. The questions in the CAF are
designed to screen out those policies that would have no bearing on a consistency determination for a
proposed actions. For any questions that warrant a “yes” answer, or for which an answer is ambiguous, an
explanation should be prepared to assess the consistency of the proposed actions with the noted policy or
policies. The CAF was prepared for the proposed actions and is provided in Appendix I. The WRP CAF
prepared for the proposed actions (WRP # 15-011) was reviewed by DCP’s Waterfront and Open Space
Division.
As indicated by DCP, the aforementioned revisions to the WRP will most likely be adopted by the time this
EAS is completed and, as such, the updated policies are reflected in this analysis. Per the revised WRP, the
following policies warrant further assessment: Policy 1.1, Policy 6, Policy 6.1, and Policy 8. Therefore,
these policies are addressed below.
Consistency with Applicable WRP Policies
POLICY 1: Support and facilitate commercial and residential development in areas well-
suited to such development.
1.1 Encourage commercial and residential development in appropriate Coastal Zone areas.
The project area does not include any waterfront sites. The proposed actions would create opportunities for
new housing and commercial development on underutilized vacant land in an area already characterized by
similar uses. The section of the coastal zone falling within the project area does not contain any natural or
topographic features that would hinder redevelopment. The development sites are easily accessible via the
adjacent street network and are served by existing infrastructure that would serve the future developments.
The proposed residential uses on the Fernside Place Site would complement the existing residential uses in
the immediate area, which includes a mix of one- and two-family detached residences and multi-family
elevator buildings. In addition, the proposed local retail uses on the development sites would provide goods
and services to both serve residents of the surrounding area and visitors of the nearby Rockaway Beach and
Boardwalk.
POLICY 6: Minimize loss of life, structures, and natural resources caused by flooding and
erosion and increase resilience to future conditions created by climate change.
This policy aims to reduce flooding and erosion hazards and to protect life, structures, and natural resources
by reinforcing state and City flooding and erosion regulations. According to preliminary Flood Insurance
Rate Maps (FIRM) produced by the Federal Emergency Management Agency (FEMA) in December 2013,
Development Sites
Seagirt Boulevard Rezonings EAS Figure C-2
Coastal Zone Boundary Map
Development Sites
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-5
and as shown in Figure C-3, a portion of the Fernside Place Site is located within Zone X (the 500-year
floodplain) and the entirety of the Beach 13th Street Site is within Zone AE (the 100-year floodplain) with
a Base Flood Elevation (BFE) of ten feet. A discussion of the consistency of the proposed developments
on the Beach 13th Street Site and the Fernside Place Site with Policy 6 of the WRP is provided below.
Fernside Place Site
As noted above, a portion of the Fernside Place Site is located within Zone X (the 500-year floodplain).
The design and construction of the proposed Fernside Place Site development would comply with New
York City Building Code requirements for construction within the 500-year floodplain for the applicable
building category. The finished floor elevations for the Fernside Place Site residences would be at or above
elevation 19.75, approximately 8.75 feet above the Design Flood Elevation (DFE) and approximately 9.75
feet above the BFE, as shown in Figure C-4. The first floor elevations of the Fernside Place Site retail
building and the Fernside Place Site residential building (consisting of a lobby, with no residential units)
would be at the DFE (elevation 11). Additionally, all utilities will be designed to prevent loss due to flooding
and erosion, with mechanical equipment located on the roof of each of the Fernside Place Site buildings, as
presented in Figure C-4. The proposed Fernside Place Site development would not include any below-grade
uses that could potentially be susceptible to flooding during storm events. In addition, the proposed project
will involve the planting of one street tree every 25 feet of street frontage, in accordance with zoning
regulations, which would contribute to erosion control measures in the flood zone. Therefore, the proposed
project would minimize the potential for public and private losses due to flood damage and reduce the
exposure of public utilities to flood hazards.
The NPCC additionally recommends assessing the impacts of projected sea level rise on the lifespan of
projects. While the NPCC developed a series of maps incorporating projections for sea level rise with
FEMA’s 2013 Preliminary Work Maps, because of limitations in the accuracy of flood projections, the
NPCC recommends that these maps not be used to judge site-specific risks. However, as noted above, the
NPCC estimates that in the New York City area in general, sea level rise up to a high estimate of 11 inches
by the 2020s and up to a high estimate of 31 inches by the 2050s. As such, some areas not currently within
the applicable 100-year and 500-year flood zones per the FEMA 2013 Preliminary Work Maps, will be in
the future based on the NPCC projections. Furthermore, the NPCC projects that the frequency, extent, and
height of 100-year and 500-year flood will increase by the 2050s.
Based on future 100-year and 500-year flood zone projections for the 2020s and 2050s, the majority of the
Fernside Place Site will fall within the 500-year floodplain by the 2050s. In addition, the southern and
eastern portions of the Fernside Place Site are expected to fall within the 100-year floodplain by the 2050s.
However, the NPCC recommends that these maps not be used to judge site-specific risks and they are
subject to change.
The proposed Fernside Place Site buildings would be constructed to meet the standards of the New York
City Building Code and the Best Available Flood Hazard Data available from FEMA at the time of their
construction. In addition, by focusing the residential uses on the northern portion of the Fernside Place Site
(along Watjean Court) and locating all residence at elevation 19.75, approximately 8.75 feet above the DFE
and approximately 9.75 feet above the BFE, the Fernside Place Site development would minimize the
potential for future flood damage to these residential uses, should the floodplain rise to the levels projected
by the NPCC in the future. Therefore, the proposed Fernside Place Site development would minimize the
potential for public and private losses due to flood damage, reduce the exposure of public utilities to flood
hazards, and prepare for and address future risks, and would be consistent with this policy.
SEAGIRT BLVD
BEA
CH
19
ST
BEA
CH
20
ST
BEA
CH
13
ST
BEA
CH
17
ST
BOARDWALK
CAMP RD
BEA
CH
12
ST
HEYSON RD
BRIAR PL
PLAINVIEW AV
NEW HAVEN AV
FERN
SIDE
PL
ELK DR
BEA
CH
14
ST
COLLIER AV
CAFFREY AV
BEA
CH
15
ST
DAVIES RD
BEAC
H 22
ST
BROOKHAVEN AV
NO
NA
ME
EDGEMERE AV
CR
EST
RD
BEA
CH
25 ST
BEAC
H 21
ST
BEA
CH
24 ST
SEAGIRT AV
BEA
CH
26 ST
GATEWAY BLVD
OS
TEN
D P
L
HANSON CTAL
LEY
BEA
CH
16
ST
LANETT AV
HIGHLAND CT
WILLIAMS C
T
MULBACH CT
NO NAME
NO NAMESEAGIRT BLVD
NO
NA
ME
NO NAME
SEAGIRT BLVD
BEA
CH
19
ST
BEA
CH
20
ST
BEA
CH
13
ST
BEA
CH
17
ST
BOARDWALK
BEA
CH
12
ST
HEYSON RD
BRIAR PL
PLAINVIEW AV
NEW HAVEN AV
FERN
SIDE
PL
ELK DR
CAMP RD
BEA
CH
14
ST
CAFFREY AV
COLLIER AV
BEA
CH
15
ST
DAVIES RD
BEAC
H 22
ST
BROOKHAVEN AV
EDGEMERE AV
NO
NA
ME
CR
EST
RD
BEA
CH
25 ST
BEAC
H 21
ST
BEA
CH
24 ST
GATEWAY BLVD
BEA
CH
26 ST
SEAGIRT AV
OS
TEN
D P
L
GRASSMERETE
BEA
CH
11
ST
ALLE
Y
LANETT AV
BEA
CH
16
ST
HIGHLAND CT
WILLIAMS C
T
MULBACH CT
NO NAME
NO NAME
NO
NA
ME
NO NAME
NO NAME
°
0 400 800Feet
LegendDevelopment Sites
500-Year Flood Zone ProjectionsExisting
2020s Projection
2050s Projection
LegendDevelopment Sites
100-Yeard Flood Zone ProjectionsExisting
2020s Projection
2050s Projection
Seagirt Boulevard Rezonings EAS Figure C-3NPCC Flood Projections
Beach 13thSt. Site
Beach 13thSt. Site
Fernside Pl. Site
Fernside Pl. Site
Figure C-4Flood Elevations and Proposed Project Building Elevations
Seagirt Boulevard Rezonings EAS
Rockaway Fernside - Mixed-Use Rockaway, NY
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or in part may be made without the express written permission of Zyscovich Architects. All designs indicated in these drawings are the property of Zyscovich Architects.All copyrights reserved ©2013.
March 14, 2016Fernside - Zoning SectionFor Illustrative Purposes Only
HEYSON ROAD(NARROW STREET)
SEAGIRT BLVD(WIDE STREET)
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or inpart be made without the express written permission of Zyscovich Architects. All designs indicated in thesedrawings are property of Zyscovich Architects. All copyrights reserved © 2016.
270 Lafayette St., Suite 905New York City, NY 10012212.343.0044
e [email protected] www.zyscovich.com
270 Lafayette St., Suite 905 New York City, NY 10012t 212.343.0044
e [email protected] www.zyscovich.com
Rockaway Fernside - Mixed-Use Rockaway, NY
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or in part may be made without the express written permission of Zyscovich Architects. All designs indicated in these drawings are the property of Zyscovich Architects.All copyrights reserved ©2013.
March 14, 2016Fernside - Zoning Section AFor Illustrative Purposes Only
FERNSIDE PLACE(NARROW)
SECTION A
LOBBY
2ND-4TH FLOORS3 STORIESRESIDENTIALBUILDING7,846 SQ. FT.TOTAL GROSS =23,538 SQ.FT
5TH FLOORRESIDENTIAL5,986 SQ. FT.
ROOF ABOVE 4TH
FLOOR
BULKHEAD
SECTION A
RESIDENTIAL
AVERAGE CURB :20.32+ 12.61 + 10.32 =14.42 3MAXIMUM BASE HEIGHT ELEVATION : 44.42MAXIMUM BLDG HEIGHT ELEVATION : 54.42
42'-3"
19'-81
2"
44'-10"
93'-8"
62'-0"
138'-6"
30'-0"
108'-6"
42'-3"
19'-81
2"
44'-10"
63'-8"
30'-0"
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or inpart be made without the express written permission of Zyscovich Architects. All designs indicated in thesedrawings are property of Zyscovich Architects. All copyrights reserved © 2015.
270 Lafayette St., Suite 905New York City, NY 10012212.343.0044
e [email protected] www.zyscovich.com
N
270 Lafayette St., Suite 905 New York City, NY 10012t 212.343.0044
e [email protected] www.zyscovich.com
Rockaway Fernside - Mixed-Use Rockaway, NY
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or in part may be made without the express written permission of Zyscovich Architects. All designs indicated in these drawings are the property of Zyscovich Architects.All copyrights reserved ©2013.
March 14, 2016Fernside - Zoning Section BFor Illustrative Purposes Only
AVERAGE CURB :8.22+ 8.65 + 10.32 =9.06
3MAXIMUM BASE HEIGHT ELEVATION : 44.42MAXIMUM BLDG HEIGHT ELEVATION : 54.42
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or inpart be made without the express written permission of Zyscovich Architects. All designs indicated in thesedrawings are property of Zyscovich Architects. All copyrights reserved © 2015.
270 Lafayette St., Suite 905New York City, NY 10012212.343.0044
e [email protected] www.zyscovich.com
N
270 Lafayette St., Suite 905 New York City, NY 10012t 212.343.0044
e [email protected] www.zyscovich.com
Fernside Pl. Site Residential
Fernside Pl. Site Retail
Beach 13th St. Site Retail
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-6
Beach 13th Street Site
As noted above, the entirety of the Beach 13th Street Site is within Zone AE (the 100-year floodplain) with
a BFE) of ten feet. In addition, based on the NPCC’s future 100-year and 500-year flood zone projections
for the 2020s and 2050s, as under existing conditions, the Beach 13th Street Site will fall entirely within the
100-year floodplain in the future (refer to Figure C-3).
The design and construction of the proposed Beach 13th Street Site development would comply with New
York City Building Code requirements for construction within the 100-year floodplain for the applicable
building category. By locating the finished floor elevations for the Beach 13th Street Site retail building at
elevation 11 (the DFE), one foot above the BFE, the building would be floodproofed to the DFE (refer to
Figure C-4). Additionally, all utilities will be designed to prevent loss due to flooding and erosion, with
mechanical equipment located on the roof of the Beach 13th Street Site building, as presented in Figure C-
4. The proposed Beach 13th Street Site development would not include any below-grade uses that could
potentially be susceptible to flooding during storm events. Therefore, the proposed project would minimize
the potential for public and private losses due to flood damage and reduce the exposure of public utilities
to flood hazards.
The proposed Beach 13th Street Site building would be constructed to meet the standards of the New York
City Building Code and the Best Available Flood Hazard Data available from FEMA at the time of their
construction. By locating all building uses above the DFE and locating all mechanical equipment on the
roof, the proposed Beach 13th Street Site development would minimize the potential for public and private
losses due to flood damage, reduce the exposure of public utilities to flood hazards, and prepare for and
address future risks, and would be consistent with this policy.
6.1 Minimize losses from flooding and erosion by employing non-structural and structural
management measures appropriate to the site, the use of the property to be protected,
and the surrounding area.
The Beach 13th Street Site is located approximately 140 feet from the Rockaway Beach and Boardwalk; the
portion of the park located most proximate to the Beach 13th Street Site primarily consists of a paved parking
lot. As noted above, the proposed Beach 13th Street Site development would have finished floor elevations
at the DFE and would located all mechanical equipment on the roof to minimize the potential for losses due
to flood damage. The proposed Beach 13th Street Site development would not impact public access to the
Rockaway Beach and Boardwalk, which is separated from Beach 13th Street Site by the six-lane Seagirt
Boulevard. Furthermore, the Fernside Place Site development would not exacerbate flooding or erosion at
the park as the floodplain within and adjacent to the Fernside Place Site is affected by coastal flooding,
rather than local or fluvial flooding; coastal floodplains are influenced by astronomic tide and
meteorological forces (e.g., northeasters and hurricanes) and not by fluvial flooding (e.g., rivers and streams
overflowing their banks), and as such are not affected by the placement of obstructions (e.g., buildings)
within the floodplain. Lastly, the proposed Beach 13th Street Site development will involve the planting of
one street tree every 25 feet of street frontage, in accordance with zoning regulations, which would
contribute to erosion control measures in the flood zone.
POLICY 8: Provide public access to and along New York City’s coastal waters.
The Beach 13th Street Site is located across Seagirt Boulevard from the Rockaway Beach and Boardwalk,
a public beach and open space resource. The proposed actions would facilitate the development of a new
commercial development on the Beach 13th Street Site. The single-story retail structure would occupy the
westernmost portion of the development site, with vehicular access provided along Seagirt Boulevard. The
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-7
Beach 13th Street Site entrance would be located over 300 feet northwest of the Rockaway Beach and
Boardwalk vehicle entrance and would be accessed by Seagirt Boulevard’s westbound lanes. The
Rockaway Beach and Boardwalk vehicle entrance (approximately 300 feet southeast of the Beach 13th
Street Site vehicle entrance) is accessed by Saegirt Boulevard’s eastbound lanes and would not be affected
by vehicles entering and exiting the Beach 13th Street Site parking lot. In addition, the proposed project
would not result in any visual impacts to, or cast shadows on, this open space resource. Apart from the
Beach 13th Street Site’s proximity to the Rockaway Beach and Boardwalk, the development sites are not
located adjacent to any other waterfront pubic open spaces and are not located directly on, or immediately
adjacent to, the coastline and therefore have no potential to provide new waterfront open space, visual
access, or directly affect public or visual access to any existing or potential waterfront public open space.
As such, the proposed actions would have no effects related to public access to the City’s coastal waters or
to public open spaces.
Secondary Study Area
In addition to the public policies applicable to the primary study area that are identified above, the following
public policies are applicable to the secondary study area.
The Greenway Plan for NYC
Directly south of the Beach 13th Street Site and within the secondary study area is the Rockaway Beach and
Boardwalk, which is part of the 1993 Greenway Plan for NYC. The purpose of this plan was to develop an
integrated system of pathways for pedestrians and bicyclists that would create new public recreational
opportunities, increase the mobility of cyclists, walkers, and joggers, and enrich the lives of New Yorkers.
Encompassed in this plan was 350 miles of greenways. The greenways were designed to serves as both
recreational facilities and as part of the transportation infrastructure, thus seeking to promote
environmentally sound transportation. They were also designed to run along both natural and manmade
linear spaces, such as railroads, highways, rivers, waterfront areas, parks, and City streets.
As the area included in the Greenway Plan for NYC falls outside of the primary study area, it would not be
directly affected by the proposed actions. The proposed actions would not alter or conflict with policies
outlined in the Greenway Plan for NYC and no further analysis is warranted.
Historic Districts
As described in Attachment B, “Supplemental Screening,” the S/NR listed Far Rockaway Beach Bungalow
Historic District is located within the secondary study area to the south of the Fernside Place Site. The intent
of the S/NR historic district is to protect the neighborhood character and unique architectural value of the
Far Rockaway Beach Bungalow Historic District. Resources that are listed on the S/NR are given a measure
of protection from the effects of federally sponsored or federally assisted projects under Section 106 of the
National Historic Preservation Act. Although preservation is not mandated, federal agencies must attempt
to avoid adverse impacts on such resources through a notice, review, or consulting process. Properties listed
on the S/NR are similarly protected against impacts resulting from State-sponsored or State-assisted
projects under the State Historic Preservation Act.
As the Far Rockaway Beach Bungalow Historic District falls outside of the primary study area, it would
not be directly affected by the proposed actions. The proposed actions would not alter or conflict with the
Far Rockaway Beach Bungalow Historic District’s policies and no further analysis is warranted.
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-8
Conclusion
The proposed actions would not result in any significant adverse public policy impacts. The proposed
actions consist of two related zoning map amendments to change the existing zoning on the development
sites. The proposed actions would facilitate the development of 27 DU and approximately 12,023 gsf of
local retail. The land use and zoning changes would not alter or conflict with the known public policies in
the study area, as described above. As such, no further analysis of public policy is necessary.
V. DETAILED ASSESSMENT
Existing Conditions
Land Use
Primary Study Area
As noted above, the primary study area is comprised of two non-contiguous areas: Queens Block 15784,
Lot 1 (the “Fernside Place Site”) and Queens Block 15620, Lots 1 and 11 (the “Beach 13th Street Site”).
The approximately 30,216-sf Fernside Place Site has approximately 170 feet of frontage on Seagirt
Boulevard to the south, approximately 155 feet of frontage on Fernside Place to the east, and approximately
169 feet of frontage on Watjean Court to the north. The approximately 17,373-sf Beach 13th Street Site is a
narrow triangular block with approximately 326 feet of frontage along Seagirt Boulevard to the south,
approximately ten feet of frontage on Beach 12th Street to the east, approximately 296 feet of frontage on
Heyson Road to the north, and approximately 107 feet of frontage on Beach 13th Street to the west As
described in Attachment A, “Project Description,” both of the development sites are currently vacant.
Secondary Study Area
As shown in Figure C-1, the 400-foot secondary study area encompasses two non-contiguous areas. The
400-foot radius around the Fernside Place Site (the “Fernside Place Site secondary study area subarea”)
generally extends to Beach 27th Street to the west, Camp Road to the north, mid-block between Fernside
Place and Beach 20th Street to the east, and slightly beyond Seagirt Avenue to the south. The 400-foot radius
around the Beach 13th Street Site (the “Beach 13th Street Site secondary study area subarea”) generally
extends to Beach 14th Street to the west, Plainview Avenue to the north, Beach 9th Street to the east, and the
Rockaway Boardwalk to the south. A discussion of land uses within each of these non-contiguous
secondary study area subareas is provided below.
Fernside Place Site Subarea
Table C-1 presents the land use breakdown of all lots within the Fernside Place Site secondary study area
subarea. As indicated in the table, while 80 percent of the lots are comprised of one- and two-family
residential buildings, in terms of lot area and building area, this use represents a significantly smaller
percentage of study area land uses. While only comprising two lots to the east and southeast of the Fernside
Place Site, the majority of the lot area (62 percent) and building area (79 percent) within the Fernside Place
Site secondary study area subarea are comprised of multi-family elevator buildings. Both of the subarea
multi-family elevator building residential complexes were constructed in 1952. Non-residential land uses
present within the Fernside Place Site secondary study area subarea are limited to commercial uses and
vacant land; family day care centers also operate out of several area residences. As indicated in Table C-1,
commercial uses and vacant lots comprise 2.6 percent and 7.1 percent of the lots within the subarea. As
indicated in Figure C-5, the four Fernside Place Site secondary study area subarea commercial lots are
SEAGIRT BLVDBOARDWALK
BEAC
H 19
ST
BEAC
H 17
ST
BEACH 20 ST
CAMP RD
BEAC
H 13
ST
COLLIER AV
BEACH 9 ST
HEYSON RD
PLAINVIEW AV
BEAC
H 12
STFERN
SIDE P
L
ELK DR
BEACH 27 ST
BRIAR PL
NO N
AME
CREST RD
DEERFIELD RD
BEAC
H 14
ST
NEW HAVEN AV
BEACH 26 ST
BEACH 24 ST
BEACH 28 ST
BEACH 25 ST
BEAC
H 15
ST
BROOKHAVEN AV
EDGEMERE AVDAVIES RDCAFFREY AV
MEEHAN AV
LANETT AV
OSTE
ND PL
WATJEAN CT
BEAC
H 11
ST
HANSON CT
BEACH 22 ST
BEAC
H 21 S
T
GRASSMERETE
SEAGIRT AV
ALLE
Y
BEAC
H 16
ST
WILLIAMS CT
NO NAME
SEAGIRT AV
BEACH 16 ST
BEACH 16 ST
NO NAME
NO NAME
PLAINVIEW AV
BOARDWALK
NO NAME
NO NAME
SEAGIRT BLVD
BEACH 27 ST
BEACH 25 ST
NO NAME
BEACH 28 ST
NO NAME
BEACH 28 ST
Seagirt Boulevard Rezonings EAS Figure C-5Study Area Land Uses
°0 250 500 750 1,000Feet
LegendPrimary Study Area (Development Sites)Secondary Study Area (400-Foot Radii)
LandUseOne- & Two-Family BuildingsMulti-Family Walkup Buildings
Multi-Family Elevator BuildingsMixed Residential/CommercialCommercial/Office BuildingsIndustrial/ManufacturingTransportation/Utility
Public Facilities & InstitutionsOpen SpaceParking FacilitiesVacant LandAll Others or No Data
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-9
located to the south of the Fernside Place Site along Seagirt Boulevard and Seagirt Avenue and comprise
neighborhood-serving local retail uses, including a laundromat, grocery store, market, and restaurant.
Vacant lots within the subarea comprise irregularly shaped lots along Seagirt Boulevard, which were
formed as a result of the widening of the roadway in the 1960s. There are no other uses present within the
Fernside Place Site secondary study area subarea.
Table C-1: Land Uses within 400 Feet of the Fernside Place Site
Land Use
Lots Lot Area Building Area
# % # % # %
One & Two Family Buildings 125 80.1 313,769 30.5 160,131 15.8
Multi-Family Walkup Buildings 14 9.0 38,010 3.7 41,326 4.1
Multi-Family Elevator Buildings 2 1.3 640,500 62.3 796,274 78.8
Mixed Residential/Commercial 0 0.0 0 0.0 0 0.0
Commercial/Office Buildings 4 2.6 25,771 2.5 12,970 1.3
Industrial/Manufacturing 0 0.0 0 0.0 0 0.0
Transportation/Utility 0 0.0 0 0.0 0 0.0
Public Facilities & Institutions 0 0.0 0 0.0 0 0.0
Open Space 0 0.0 0 0.0 0 0.0
Parking Facilities 0 0.0 0 0.0 0 0.0
Vacant Land 11 7.1 9,718 0.9 0 0.0
Total 156 100 1,027,768 100 1,010,701 100
Source: 2014 PLUTO data.
Beach 13th Street Site Subarea
The Beach 13th Street Site secondary study area subarea land uses predominantly comprise residential,
institutional, and open space uses. As shown in Table C-2, one-and two family residential buildings
represent the highest percentage of the lots within the subarea, but represent a smaller percentage of the lot
area (14.3 percent) and building area (24.5 percent). Public facilities and institutional uses, while only
comprising two lots (to the north and west of Beach 13th Street Site), represent 19.2 percent of the building
area. The two public facilities/institutions are the West Lawrence Care Center, a nursing home located at
1410 Seagirt Boulevard, and the Bais Yaakov Ateres Miriam private school, located directly north of the
Beach 13th Street Site at 12-14 Heyson Road (see Figure C-5). Similarly, while only one lot within the
Beach 13th Street Site secondary study area subarea is comprised of open space uses (Rockaway Beach and
Boardwalk, located immediately south of Beach 13th Street Site), the lot totals 827,100 sf and represents
60.8 percent of the lot area within the subarea. The Rockaway Beach and Boardwalk features several active
and passive open space amenities, as well as a concession stand.
Zoning
Primary Study Area
Fernside Place Site
As presented in Figure C-6, the Fernside Place Site is currently zoned R4-1. The Fernside Place Site was
rezoned from R4 to R4-1 under the 2008 Rockaway Neighborhood Rezoning (CEQR No. 08DCP065Q).
R4-1 zoning districts are contextual residential districts that permit only one- and two-family detached and
semi-detached houses. The maximum permitted residential floor area ratio (FAR) in R4-1 districts is 0.9
(with a 0.15 attic allowance) and the maximum community facility FAR is 2.0. One off-street parking space
is required for each DU in R4-1 districts. As the Fernside Place Site is currently vacant (FAR 0.0), the site
is underbuilt for the allowable FAR.
SEAGIRT BLVDBOARDWALK
BEAC
H 19
ST
BEAC
H 17
STBEACH 20 ST
CAMP RD
BEACH 9 ST
BEAC
H 13
ST
COLLIER AV
HEYSON RD
BEAC
H 12
STPLAINVIEW AVFERN
SIDE P
L
BRIAR PL
ELK DR
BEACH 27 ST CREST RD
NEW HAVEN AV
BEAC
H 14
ST
DEERFIELD RD
BEACH 26 ST
BEACH 22 ST
BEACH 24 ST
BEACH 28 ST
BEACH 25 ST
BEAC
H 15
ST
BROOKHAVEN AV
EDGEMERE AVDAVIES RDCAFFREY AV
MEEHAN AV
LANETT AV
OSTE
ND PL
WATJEAN CT
GRASSMERETE
BEAC
H 21 S
T
SEAGIRT AV
BEAC
H 11
ST
HANSON CT
AZTEC PL
ALLE
Y
BEAC
H 16
ST
WILLIAMS CT
SEAGIRT BLVD
BEACH 16 ST
BEACH 28 ST
LANETT AV
PLAINVIEW AV
SEAGIRT AV
BEACH 28 ST
BEACH 25 ST
BOARDWALK
BEACH 27 ST
BEACH 16 STR5
PARK
R5
R6
R4A
R4-1
R4-1
R4A
R5
R4
R3A
R4A
R4-1
R6
PARK
Seagirt Boulevard Rezonings EAS Figure C-6Existing Zoning
°0 250 500 750 1,000Feet
LegendPrimary Study Area (Development Sites)Secondary Study Area (400-Foot Radii)Existing Zoning District Boundaries
Commercial OverlaysC1-2C1-3
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-10
Table C-2: Land Uses within 400 Feet of the Beach 13th Street Site
Land Use
Lots Lot Area Building Area
# % # % # %
One & Two Family Buildings 59 75.6 194,959 14.3 139,744 24.5
Multi-Family Walkup Buildings 8 10.3 59,025 4.3 48,470 8.5
Multi-Family Elevator Buildings 2 2.6 203,450 14.9 264,6002 46.3
Mixed Residential/Commercial 1 1.3 3,143 0.2 2,968 0.5
Commercial/Office Buildings 0 0.0 0 0.0 0 0.0
Industrial/Manufacturing 0 0.0 0 0.0 0 0.0
Transportation/Utility 0 0.0 0 0.0 0 0.0
Public Facilities & Institutions 2 2.6 59,417 4.4 109,500 19.2
Open Space 1 1.3 827,100 60.8 6,077 1.1
Parking Facilities 0 0.0 0 0.0 0 0.0
Vacant Land 5 6.4 14,301 1.1 0 0.0
Total 78 100 1,361,395 100 571,361 100
Source: 2014 PLUTO data.
Beach 13th Street Site
The Beach 13th Street Site is currently zoned R5 (see Figure C-6). R5 districts allow a variety of housing
and typically produce three- and four-story attached houses and small apartment houses that provide a
transition between lower- and higher-density neighborhoods. The maximum permitted residential FAR in
R5 districts is 1.25 and the maximum community facility FAR is 2.0. Off-street parking is required for 85
percent of the DU in R5 districts. As the Beach 13th Street Site is currently vacant (FAR 0.0), the site is
underbuilt for the allowable FAR.
Secondary Study Area
Table C-3 provides a summary of the secondary study area zoning districts, which are described below.
Fernside Place Site Subarea
As shown in Figure C-6, existing zoning districts within the Fernside Place Site secondary study area
subarea comprise lower and medium density residential districts, with two commercial overlays mapped
within the subarea.
The remainder of Block 15784 as well as the blocks to the north and southwest of the Fernside Place Site
are zoned R4-1. As noted above, R4-1 zoning districts are contextual residential districts that permit only
one- and two-family detached and semi-detached houses. The maximum permitted residential FAR in R4-
1 districts is 0.9 (with a 0.15 attic allowance) and the maximum community facility FAR of 2.0. An R4A
contextual district, which has the same permitted maximum residential and community facility FAR as R4-
1 districts, is mapped to the west of Camp Road (see Figure C-6). Semi-detached buildings are not permitted
in R4A districts, unlike R4-1 districts.
To the south of the Fernside Place Site is a mapped R3A contextual district. As indicated in Table C-3,
R3A contextual districts permit a maximum residential FAR of 0.6 (with a 20 percent attic allowance) and
a maximum community facility FAR of 1.0. Similar to R4A districts, the only permitted housing types in
R3A districts are single-family and two-family detached houses.
R5 and R6 residential districts are mapped to the east of the Fernside Place Site (see Figure C-6). As
presented in Table C-3, R5 districts have a maximum residential FAR of 1.25 and a maximum community
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-11
facility FAR of 2.0 and typically serve as a transition between lower- and higher-density neighborhoods.
On blocks entirely within an R5 district, optional regulations may be used to develop infill housing in
“predominantly-built up areas” (i.e., if at least 50 percent of the area of the block is occupied by zoning lots
developed with buildings). On sites that qualify for infill housing, the higher FAR of 1.65 and more relaxed
parking requirements permit developments with greater bulk and more DU than otherwise permitted in R5
districts.
Table C-3: Existing Zoning Districts within the Secondary Study Area
Name Definition/General Use Maximum FAR
Residential Districts
R3A
Characteristic of many of the City’s older neighborhoods, R3A
contextual districts feature modest single- and two-family detached
residences.
R: 0.61; C:0.0; CF: 1.0; M: 0.0
R4-1 R4-1 contextual districts permit only one- and two-family detached and
semi-detached houses that tend to be larger than those in R3-1 districts. R: 0.91; C: 0.0; CF: 2.0; M: 0.0
R4A
R4A contextual districts are similar to R3A and R3X districts in that
only one- and two-family detached residences are permitted. Differences
in FAR and minimum required lot size, however, result in variation in
the typical building envelope found in each districts.
R: 0.91; C: 0.0; CF: 2.0; M: 0.0
R5
R5 districts allow a variety of housing at a higher degree than permitted
in R3-2 and R4 districts and typically produce three- and four-story
attached houses and small apartment houses. R5 districts provide a
transition between lower- and higher-density neighborhoods.
R: 1.252; C: 0.0; CF: 2.0; M: 0.0
R6
R6 districts are widely mapped in built-up, medium-density areas.
Developers can choose between Height Factor and Quality Housing Bulk
regulations.
R: 0.78-2.43; C: 0.0; CF: 4.8; M: 0.0
Commercial Overlays
C1-3
C1 commercial overlays are mapped within residential districts along
streets that serve local retail needs. In mixed-use buildings, commercial
uses are limited to one or two floors and must always be located below
the residential uses.
R & CF: Same as underlying R district:
C: 1.0 within R1-R5 districts & 2.0
within R6-R10 districts; M: 0.0
Source: Zoning Resolution of the City of New York
Notes:
R=Residential; C=Commercial; CF=Community Facility; M=Manufacturing 1 Includes zoning allowance of 20 percent. 2 On blocks entirely within an R5 district, optional Infill regulations may be used to develop higher density residential buildings in
predominantly built-up areas. The maximum residential FAR may be increased to 1.65 in R5 districts where Infill regulations
apply.
R6 districts are medium density residential districts that permit a maximum residential FAR of up to 2.43
and a maximum community facility FAR of 4.8. R6 zoning districts are widely mapped in built-up medium
density areas and permit developers to choose between two sets of bulk regulations: Height Factor
regulations and Quality Housing regulations. Standard Height Factor regulations produce small multi-
family buildings on small zoning lots and, on larger lots, tall buildings that are set back from the street.
Optional Quality Housing regulations produce high lot coverage buildings within height limits that often
reflect the scale of older, pre-1961 apartment buildings.
C1-3 commercial overlays are mapped on all, or portions, of two blocks to the south of the Fernside Place
Site. C1-3 commercial overlays permit up to 1.0 FAR of commercial uses within the R4-1 and R3A districts
in which they are mapped in the subarea. In mixed-use buildings, commercial uses are limited to one to two
floors and must always be located below residential uses.
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-12
Beach 13th Street Site Subarea
As shown in Figure C-6, the majority of the Beach 13th Street Site secondary study area subarea is mapped
R5. As described above, R5 districts allow a variety of housing and typically produce three- and four-story
attached houses and small apartment houses that provide a transition between lower- and higher-density
neighborhoods. The maximum permitted residential FAR in R5 districts is 1.25 and the maximum
community facility FAR of 2.0. The block immediately west of the Beach 13th Street Site is mapped R4A,
which, as noted above, has a lower maximum permitted FAR than R5 districts, with up to 0.9 FAR of
residential uses and up to 2.0 FAR of community facility uses permitted as-of-right. The area to the south
of the Beach 13th Street Site is mapped parkland (refer to Figure C-6).
Future without the Proposed Actions (No-Action Condition)
Land Use
Primary Study Area
In the 2018 future without the proposed actions, the primary study area would not change from existing
conditions. The two development sites would remain vacant.
Secondary Study Area
Based on a site visit conducted in April 2015 and a review of secondary sources, including the New York
City Department of Building’s (DOB’s) Building Information System (BIS) and the New York City
Department of City Planning’s Land Use and CEQR Application Tracking System (LUCATS), there are
no known developments anticipated in the secondary study area by the 2018 analysis year.
Zoning
Primary Study Area
In the future without the proposed actions, the development sites’ existing zoning would remain. The
Fernside Place Site would continue to be zoned R4-1 and the Beach 13th Street Site would remain zoned
R5.
Secondary Study Area
There are no zoning changes anticipated in the secondary study area by the 2018 analysis year.
Future with the Proposed Actions (With-Action Condition)
Land Use
Primary Study Area
In the future with the proposed actions, the development sites’ existing vacant land would be replaced with
new construction. As described in Attachment A, “Project Description,” the applicant is proposing to
develop the two development sites with a total of approximately 31,850 gsf of residential floor area (27
DU), approximately 12,023 gsf of retail, and 59 accessory parking spaces. The proposed developments on
the Fernside Place Site and the Beach 13th Street Site, respectively, are described below.
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-13
Fernside Place Site
The Fernside Place Site would be developed with two freestanding buildings: a 5,629-gsf single-story retail
building fronting on Seagirt Boulevard and a five-story 31,850-gsf multi-family residential building with
27 DU fronting on Watjean Court. The Fernside Place Site would also include 43 at-grade parking spaces;
14 parking spaces would be accessory to the proposed retail uses, and 29 spaces would be accessory to the
proposed residential uses. The Fernside Place Site development would include 0.99 FAR of residential uses
and approximately 0.18 FAR of commercial uses, for a total FAR of 1.17.
Beach 13th Street Site
As described in Attachment A, “Project Description,” the applicant would construct a 6,394-gsf single-
story retail development on the Beach 13th Street Site (Block 15620, Lots 1 and 11). The Beach 13th Street
Site development would also include 16 accessory parking spaces. The Beach 13th Street Site development
would have a total commercial FAR of 0.37.
Secondary Study Area
The proposed actions would not result in any changes in land uses in the secondary study area.
Assessment
The land uses proposed for the two development sites would be consistent with and supportive of the
existing land uses found in the secondary study area. As compared to No-Action conditions, in which the
development sites would not be redeveloped and would remain vacant, with the proposed actions, the
development sites would be fully developed, creating a more cohesive urban environment. Overall, the
proposed actions would not adversely affect existing land use patterns and trends. The incremental
residential units on the Fernside Place Site would be consistent with the residential uses found in the
surrounding, which include a mix of single-family residences and larger multi-family residential buildings.
The new 1.17 FAR and 0.37 FAR developments on the Fernside Place Site and the Beach 13th Street Site
would be at a density compatible with existing uses in the secondary study area. In addition, the uses
generated by the proposed actions would not result in a substantial change to the study area as compared to
the No-Action condition. As described above, the secondary study area is a predominantly residential
neighborhood, with other uses, including commercial, open space, and institutional uses, also found
throughout. The proposed local retail uses in the future with the proposed actions would provide goods and
services to both serve residents of the primary and secondary study area and visitors of the secondary study
area’s Rockaway Beach and Boardwalk.
Zoning
Primary Study Area
In the future with the proposed actions, the two development sites comprising the primary study area would
be rezoned. As described in Attachment A, “Project Description,” the proposed actions consist of two
related zoning map amendments. The first rezoning action (ULURP No. 160033ZMQ) would map a C1-3
commercial overlay over an existing R5 district on Queens Block 15620, Lots 1 and 11 (the “Beach 13th
Street Site”). The second rezoning action (ULURP No. 160351ZMQ) would rezone Queens Block 15784,
Lot 1 (the “Fernside Place Site”) from R4-1 to R5 with a C1-3 commercial overlay. Comparisons of the
existing and proposed zoning are presented in Figures C-7a and C-7b.
CURRENT ZONING MAP PROPOSED ZONING MAP - Area being rezoned is outlined with dotted linesChanging an R4-1 district to a R5 and R5/C1-3 district
Seagirt Boulevard Rezonings Zoning Cange Map
EDGEMERE AVE.
HIGHLAND CT.
100’
55’
BEACH 26TH
ST
BEACH 25TH
ST
BE ACH 26TH
ST
BEACH 25TH
ST
WATJEAN C T.
R4-1
R5
R3A
R4-1
CAMPRD
ST
27
TH
BE
AC
H
RD.
FERNSI
DE
240
110 ST
AVE.B. 2
6TH
200
100500
80
PE
DE
ST
RIA
N
PL.
NOTE: Zoning information as shown on this map is subject tochange. For the most up-to-date zoning information for this map,visit the Zoning section of the Department of City Planning website:www.nyc.gov/planning or contact the Zoning Information Desk at(212) 720-3291.NOTE: Where no dimensions for zoning district boundaries appear on the zoning maps, such dimensions are determined
in Article VII, Chapter 6 (Location of District Boundaries) of the Zoning Resolution.
C1-1 C1-2 C1-3 C1-4 C1-5 C2-1 C2-2 C2-3 C2-4 C2-5
BE ACH 26TH
ST
BEACH 25TH
ST
R4-1
R5R
3A
R4-1
CAMPRD
ST
27
TH
BE
AC
H
RD.
FERNSI
DE
240
110 ST
AVE.B. 2
6TH
200
100500
80
PE
DE
ST
RIA
N
PL.
EDGEMERE AVE.
HIGHLAND CT.
WATJEAN C T.
Seagirt Boulevard Rezonings EAS Figure C-7aExisting and Proposed Zoning - Fernside Place Site
NOTE: Zoning information as shown on this map is subject tochange. For the most up-to-date zoning information for this map,visit the Zoning section of the Department of City Planning website:www.nyc.gov/planning or contact the Zoning Information Desk at(212) 720-3291.NOTE: Where no dimensions for zoning district boundaries appear on the zoning maps, such dimensions are determined
in Article VII, Chapter 6 (Location of District Boundaries) of the Zoning Resolution.
C1-1 C1-2 C1-3 C1-4 C1-5 C2-1 C2-2 C2-3 C2-4 C2-5
CURRENT ZONING MAP PROPOSED ZONING MAP - Changing an R5 district to an R5/C1-3 district
Seagirt Boulevard Rezonings Zoning Change Map
BEACHP A R K
PROMENA
THEONESCU
HEYSON
B. 1
6TH
ST.D.
ON
R5R4A
PLAINVIEW
B. 1
5T
HS
T
RD.
ST
.
B. 1
4T
H
AV
E.
B. 1
1T
H S
T.
MEEHANAVE.
AVE.
100
BEACHP A R K
PROMENA
THEONESCUHEYSON
B. 1
6TH
ST.D.
ON
R5R4A
PLAINVIEW
B. 1
5T
HS
T ST
.
B. 1
4T
H
AV
E.
B. 1
1T
H S
T.
MEEHANAVE.
AVE.100
Area being rezoned is outlined with dotted lines
Seagirt Boulevard Rezonings EAS Figure C-7bExisting and Proposed Zoning - Beach 13th Street Site
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-14
R5 districts allow a variety of housing; typically three- and four-story attached houses and small apartment
buildings transition between lower- and higher-density neighborhoods. R5 zoning district bulk regulations
permit a maximum residential FAR of 1.25, a maximum community facility FAR of 2.0, maximum lot
coverage of 55 percent, a maximum street wall height of 30 feet, and a maximum building height of 40 feet;
parking is required for a minimum of 85 percent of dwelling units.
C1-3 districts are mapped within residential districts along streets that serve local retail needs. Commercial
uses are permitted up to 1.0 FAR with one parking space per 400 zoning square feet (sf) of retail.
A comparison of the uses, maximum permitted FAR, and parking requirements under the existing and
proposed zoning districts on the two development sites is provided in Table C-4, below. A description of
these changes for each of the development sites is provided below.
Table C-4: Comparison of Existing and Proposed Zoning
Fernside Place Site Beach 13th Street Site
Existing R4-1 Proposed R5 Proposed R5/C1-3 Existing R5 Proposed R5/C1-3
Use Groups 1-4 1-4 1-6 1-4 1-6
Maximum FAR
Residential 0.75 1.25 1.25 1.25 1.25
Community Facility 2.0 2.0 2.0 2.0 2.0
Commercial 0.0 0.0 1.0 0.0 1.0
Manufacturing 0.0 0.0 0.0 0.0 0.0
Parking
R: 100% of
DU
CF: Varies by
Use
R: 85% of
DU
CF: Varies
by Use
R: 85% of DU
C: 1 per 400 sf
CF: Varies by Use
R: 85% of
DU
CF: Varies
by Use
R: 85% of DU
C: 1 per 400 sf
CF: Varies by Use
Source: Zoning Resolution of the City of New York.
Notes: R=Residential; C=Commercial; CF=Community Facility
Fernside Place Site
Under both existing and future With-Action conditions, Use Group 1-4 residential and community facility
uses would be permitted on the Fernside Place Site. Under the proposed actions, the maximum permitted
residential FAR would increase from 0.75 under existing conditions to 1.25 under With-Action conditions
on the entirety of the project site. While accessory parking is required for 100 percent of the residential
units under existing R4-1 zoning, under the proposed R5 zoning district, accessory residential parking
spaces are required for 85 percent of the DU. No changes to the maximum permitted community facility
FAR (2.0) would occur under the proposed actions.
In addition, while no commercial uses are permitted under the Fernside Place Site’s existing zoning, the
proposed C1-3 commercial overlay would permit Use Group 5 and 6 commercial uses up to 1.0 FAR on a
portion of the development site. One parking space would be required for every 400 sf of commercial uses
under the Fernside Place Site’s proposed zoning. No manufacturing uses would be permitted on the
Fernside Place Site under existing or future With-Action conditions.
Beach 13th Street Site
No changes to the Beach 13th Street Site maximum permitted residential and community facility FAR or
their required parking would occur under the proposed actions. While no commercial uses are permitted
under the Beach 13th Street Site’s existing zoning, the proposed C1-3 commercial overlay would permit
Use Group 5 and 6 commercial uses up to 1.0 FAR on the development site. One parking space would be
Seagirt Boulevard Rezonings EAS Attachment C: Land Use, Zoning, and Public Policy
C-15
required for every 400 sf of commercial uses under the Beach 13th Street Sites’s proposed zoning. No
manufacturing uses would be permitted on the Beach 13th Street Site under existing or future With-Action
conditions.
Secondary Study Area
The proposed actions would not result in any changes in zoning in the secondary study area.
Assessment
The proposed zoning text amendments would be site specific and would therefore only affect the primary
study area. The modification within the rezoning area would be compatible with zoning in the surrounding
area. In addition, the new developments on the Fernside Place Site and Beach 13th Street Site would comply
with the regulations of the proposed R5 and R5/C1-3 zoning districts.
The R5 residential zoning district proposed for the Fernside Place Site would be consistent with the zoning
to the block immediately to the east and would serve as a transition between the R4-1 and R4A districts to
the north and west and the R6 district to the southeast. The proposed Fernside Place Site C1-3 commercial
overlay would facilitate commercial development in an area where commercial uses already exist in close
proximity. As described under existing conditions, there are several local businesses along Seagirt
Boulevard and a C1-1 commercial overlay is mapped directly opposite the Fernside Place Site on the south
side of Seagirt Boulevard. The proposed C1-3 commercial overlay on the Beach 13th Street Site would be
appropriate given the site’s location along a major thoroughfare and its proximity to a primary entry point
to the eastern segment of Rockaway Beach and Boardwalk and its associated concession stand.
ATTACHMENT D
SHADOWS
D-1
Seagirt Boulevard Rezonings EAS
Attachment D: Shadows
I. INTRODUCTION
According to the 2014 City Environmental Quality Review (CEQR) Technical Manual, an adverse shadow
impact is considered to occur when the incremental shadow from a proposed development falls on a
sunlight-sensitive resource and substantially reduces or completely eliminates direct sunlight exposure,
thereby significantly altering the public’s use of the resource or threatens the viability of vegetation or other
resources. Pursuant to CEQR Technical Manual guidelines, sunlight-sensitive resources of concern are
those resources that depend on sunlight, or for which direct sunlight is necessary to maintain the resource’s
usability or architectural integrity. Sunlight-sensitive resources can include publicly accessible open space,
architectural resources, natural resources, and Greenstreets. In general, shadows on city streets, sidewalks,
buildings, or project-generated open spaces are not considered significant under CEQR. In addition,
shadows occurring within an hour and a half of sunrise or sunset generally are not considered significant
under CEQR.
According to the CEQR Technical Manual, a shadow assessment is required only if a project would result
in structures (or additions to existing structures) of 50 feet or more and/or be located adjacent to, or across
the street from, a sunlight-sensitive resource. As the proposed action would facilitate the development of
new residential and retail buildings across the street from an existing sunlight-sensitive resource, a shadows
assessment is required in order to determine whether the proposed action would result in new shadows long
enough to reach any of the resources at any time of year.
II. PRINCIPAL CONCLUSIONS
Based on the detailed shadows analysis, the proposed Fernside Place development is expected to cast
incremental shadows on the Fernside Place Greenstreet during the May 6/August 6 and June 21 analysis
days; there would be no incremental shadows cast on this open space resource on the other two
representative analysis days. On May 6/August 6, incremental shadows would cover small northern portions
of the Greenstreet for approximately 54 minutes, and on June 21, incremental shadows would again cover
northern portions of the Greenstreet, lasting for approximately 1 hour and 27 minutes. The affected areas
would include shrubs and plantings; no benches or seating areas are located within the Greenstreet. While
the affected areas are comprised of shrubs and plantings, the open space would still receive adequate
sunlight during the growing season (at least the four to six hours specified in the CEQR Technical Manual)
and vegetation would not be affected. Therefore, the effects of shadow coverage on this Greenstreet would
be essentially the same with or without the proposed development and no significant adverse shadow
impacts on the Fernside Place Greenstreet are anticipated.
III. METHODOLOGY
First, a preliminary screening assessment must be conducted to ascertain whether the shadows resulting
from the proposed project could reach any sunlight-sensitive resources at any time of year. The preliminary
screening assessment consists of three tiers of analysis. The first tier identifies the longest shadow study
area based on the maximum height of the structure(s) resulting from the proposed project. If there are
sunlight-sensitive resources within this radius, the analysis proceeds to the second tier, which reduces the
area that could be affected by project generated shadows by accounting for a specific range of angles that
can never receive shade in New York City due to the path of the sun in the northern hemisphere. If the
Seagirt Boulevard Rezonings EAS Attachment D: Shadows
D-2
second tier of analysis does not eliminate the possibility of new shadows on sunlight-sensitive resources, a
third tier of screening analysis further refines the area that could be reached by looking at specific
representative days of the year and determining the maximum extent of shadows over the course of each
representative day.
If the third tier of analysis does not eliminate the possibility of new shadows on sunlight-sensitive resources,
a detailed shadow analysis is required to determine the extent and duration of the incremental shadows
resulting from the proposed project. The detailed analysis accounts for existing shadows cast by intervening
and surrounding buildings and provides the data needed to assess the shadow impacts. The effects of the
new shadows on the sunlight-sensitive resources are described, and their degree of significance is
considered. The results of the analysis and assessment are documented with graphics, a table of incremental
shadow durations, and narrative text.
IV. PRELIMINARY SCREENING
Tier 1 Screening Assessment
According to the CEQR Technical Manual, the longest shadow a structure will cast in New York City,
except for periods close to dawn or dusk, is 4.3 times its height and occurs on December 21 (the winter
solstice). As outlined in Attachment A, “Project Description,” under the reasonable worst-case development
scenario (RWCDS), the Fernside Place Site would be developed with a one-story retail building with a
maximum height of approximately 15 feet and a five-story residential building with a maximum height of
approximately 40 feet; and the Beach 13th Street Site would be developed with a one-story retail building
with a maximum height of approximately 15 feet. As such, the maximum shadow that could be cast by the
RWCDS Fernside Place Site retail and residential buildings would be approximately 64.5 feet and 172 feet
in length, respectively, and the maximum height that could be cast by the RWCDS Beach 13th Street Site
building would be approximately 64.5 feet in length, as shown in Figures D-1a and D-1b.
As presented in Figures D-1a and D-1b, while no sunlight-sensitive resources fall within the Beach 13th
Street Site building’s maximum shadow radius, the existing Greenstreet to the east of the Fernside Place
Site is within the Fernside Place Site residential building’s maximum shadow radius. Therefore, a Tier 2
Screening Assessment is warranted.
Tier 2 Screening Assessment
According to the CEQR Technical Manual, shadows cast by buildings fall to the north, east, and west. In
New York City, the shadow area is between -108 degrees from true north and +108 degrees from true north.
Conversely, any area lying to the south of a site in the triangular area beyond these angles cannot be shaded
by a proposed project. The purpose of a Tier 2 screening is to determine whether the sunlight-sensitive
resources identified in the Tier 1 screening lie within the portion of the longest shadow study area that
potentially can be shaded as a result of the proposed action.
As indicated in Figure D-1a, based on the Tier 2 screening, it cannot be ruled out that the Fernside Place
Site residential building would cast shadows on the northern portion of the adjacent Greenstreet on Fernside
Place. As such, a Tier 3 screening assessment is warranted and has been provided below.
Tier 3 Screening Assessment
According to the CEQR Technical Manual, a Tier 3 screening assessment should be performed to determine
if, in the absence of intervening buildings, shadows resulting from a proposed project could reach a sunlight-
sensitive resources, thereby warranting a detailed shadow analysis. The Tier 3 screening assessment is used
CAMP RD
FERNSID
E PL
SEAGIRT BLVD
EDGEMERE AV
SEAGIRT AV
WATJEAN CT
HIGHLAND CT
CREST RD
BRIAR PL
BEACH 25 ST
BEACH
24 ST
BEACH 22 ST
SEAGIR
T BLVD
BEAC
H 2
5 ST
Seagirt Boulevard Rezonings EAS Figure D-1aTier 1 & Tier 2 Shadows Screening - Fernside Place Site
°
0 50 100 150 20025Feet
LegendFernside Place Site
Fernside Place Site Buildings
Maximum Shadows Radius (Tier 1 Assessment)
Area that Cannot be Shaded by the Proposed Project (Tier 2 Assessment)
Open Space Resources
GREENSTREET
BOARDWALK
SEAGIRT BLVD
HEYSON RD
BE
AC
H 1
3 S
T
BE
AC
H 1
2 S
T
BE
AC
H 1
1 S
T
SEAGIRT AVSEAGIRT BLVD
Seagirt Boulevard Rezonings EAS Figure D-1bTier 1 Shadows Screening - Beach 13th Street Site
°
0 50 100 150 20025Feet
LegendBeach 13th Street Site
Beach 13th Street Site Building
Maximum Shadow Radius - 64.5 Feet (Tier 1 Assessment)
Open Space Resources
GREENSTREET
parking area
ROCKAWAY BEACH & BOARDWALK
Seagirt Boulevard Rezonings EAS Attachment D: Shadows
D-3
to determine if shadows resulting from a proposed project could reach a sunlight-sensitive resource at any
time between 1.5 hours after sunrise and 1.5 hours before sunset on representative analysis days.
Based on the Tier 1 and Tier 2 screening assessments presented above, a Tier 3 assessment was performed
to determine whether shadows from the proposed Fernside Place Site development could reach the adjacent
Greenstreet (in the absence of intervening buildings) between 1.5 hours after sunrise and 1.5 hours before
sunset on the representative analysis days. The Tier 3 assessment was performed using three dimensional
(3D) computer mapping software, which calculates and displays project-generated shadows on individual
representative analysis dates. The model included 3D representations of the elements in the base map used
in the preceding assessments and a 3D model of the proposed Fernside Place Site development. At this
stage of the assessment, surrounding buildings within the study area were not included in the model so that
it may be determined whether project-generated shadows would reach the Greenstreet.
The Tier 3 assessment showed that the proposed Fernside Place Site development would reach the Fernside
Place Greenstreet on two of the four representative analysis days and a detailed shadow analysis is required
(see Figures D-2 through D-5).
V. DETAILED ANALYSIS OF SHADOW IMPACTS The purpose of the detailed analysis is to determine the extent and duration of new incremental shadows
that fall on sunlight-sensitive resources as a result of the project, and to assess their effects. A baseline or
future condition without the proposed action is established, containing existing buildings and sunlight-
sensitive resources and any future developments planned in the area, to illustrate the baseline shadows from
buildings and other structures in the study area defined in the preliminary assessment. The future condition
with the proposed action and its shadows can then be compared to the baseline condition with shadows
from the future without the proposed action, to determine the incremental shadows that would result with
the proposed development.
Detailed Shadows Analysis
Per CEQR Technical Manual guidelines, shadow analyses were performed for the one open space resource
identified above on four representative days of the year: March 21/September 21, the equinoxes; May 6,
the midpoint between the summer solstice and the equinox (and equivalent to August 6); June 21, the
summer solstice and the longest day of the year; and December 21, the winter solstice and shortest day of
the year. These four representative days indicate the range of potential shadows over the course of the year.
CEQR Technical Manual guidelines define the temporal limits of a shadow analysis period to fall from an
hour and a half after sunrise to an hour and a half before sunset. As discussed above, the results of the
shadow analysis show the incremental difference in shadows between the No-Action and With-Action
scenarios (see Table D-1). Table D-1 summarizes the entry and exit times and total duration of incremental
shadows on the affected sun-sensitive resource.
Table D-1: Duration of Shadows on Sunlight Sensitive Resources (Increment Compared to No-
Action)
Analysis Day March 21/Sept. 21 May 6/August 6 June 21 December 21
7:36 AM – 4:29 PM 6:27 AM – 5:18 PM 5:57 AM – 6:01 PM 8:51 AM – 2:53 PM
Fernside Place
Greenstreet
Shadow enter-exit time 4:24 – 5:18 PM 4:34 – 6:01 PM
Incremental shadow
duration 54 minutes 1 hour 27 minutes
Note: All times are Eastern Standard Time; Daylight Savings Time was not accounted for per CEQR Technical Manual guidelines.
Table indicates the entry and exit times and total duration of incremental shadow for each sunlight-sensitive resource.
Seagirt Boulevard Rezonings EAS Figure D-2Tier 3 Screening - March 21/September 21
°
Sunlight-Sensitive Open SpacesFernside Pl. Site Development
7:36 AM Noon 2:30 PM 4:29 PM9:30 AM
SEAGIRT BLVD.
SEAGIRT BLVD.
FERN
SIDE
PL.
HIGHLAND CT.
WATJEAN CT.
Seagirt Boulevard Rezonings EAS Figure D-3Tier 3 Screening - May 6/August 6
°
Sunlight-Sensitive Open SpacesFernside Pl. Site Development
6:27 AM
Noon3:00 PM
5:18 PM
9:00 AM
SEAGIRT BLVD.
SEAGIRT BLVD.
FERN
SIDE
PL.
HIGHLAND CT.
WATJEAN CT.
Seagirt Boulevard Rezonings EAS Figure D-4Tier 3 Screening - June 21
°
Sunlight-Sensitive Open SpacesFernside Pl. Site Development
5:57 AM
Noon3:00 PM
6:01 PM
9:00 AM
SEAGIRT BLVD.
SEAGIRT BLVD.
FERN
SIDE
PL.
WATJEAN CT.
HIGHLAND CT.
Seagirt Boulevard Rezonings EAS Figure D-5Tier 3 Screening - December 21
°
Sunlight-Sensitive Open SpacesFernside Pl. Site Development
8:51 AM
Noon
1:30 PM
2:53 PM
10:30 AM
SEAGIRT BLVD.
SEAGIRT BLVD.
FERN
SIDE
PL.
WATJEAN CT.HIGHLAND CT.
Seagirt Boulevard Rezonings EAS Attachment D: Shadows
D-4
As shown in Table D-1, the proposed Fernside Place Site development would increase shadow coverage at
the Fernside Place Greenstreet on two of the four representative analysis days. Figures D-6 and D-7 show
the representative project-generated incremental shadows on the Greenstreet. As shadows are in constant
motion, Figures D-6 and D-7 illustrate the extent of additional incremental shadow at particular moments
in time, highlighted in red, and also show existing shadows and remaining areas of sunlight.
It should be noted that, per the CEQR Technical Manual, all times reported herein are Eastern Standard
Time and do not reflect adjustments for daylight savings time that are in effect from mid-March to early
November. As such, the times reported in this attachment for March 21/September 21, May 6/August 6,
and June 21 need to have one hour added to reflect the Eastern Daylight Saving Time.
Fernside Place Greenstreet
This open space resource is an approximately 0.02-acre planted median located on Fernside Place between
Seagirt Boulevard and Watjean Court. The Greenstreet features shrubs, plantings, and a tree. There are no
benches or other seating.
This open space resource would experience incremental shadow coverage during the May 6/August 6 and
June 21 analysis days. There would be no incremental shadows cast on this open space resource on the
other two representative analysis days. On May 6/August 6, incremental shadows would cover small
northern portions of the Greenstreet for approximately 54 minutes from 4:24 to 5:18 PM (see Figure D-6).
On June 21, incremental shadows would again cover northern portions of the Greenstreet, lasting for
approximately 1 hour and 27 minutes, from 4:34 to 6:01 PM (see Figure D-7). The affected areas would
include shrubs and plantings.
Assessment
While the affected areas are comprised of shrubs and plantings, the open space would still receive adequate
sunlight during the growing season (at least the four to six hours specified in the CEQR Technical Manual)
and vegetation would not be affected. Therefore, the effects of shadow coverage on this Greenstreet would
be essentially the same with or without the proposed development and no significant adverse shadow
impacts on the Fernside Place Greenstreet are anticipated.
Seagirt Boulevard Rezonings EAS Figure D-6 Incremental Shadows on May 6/August 6
5:00 PM
Fernside Place Greenstreet
Fernside Pl. Site Development Incremental Shadow Open Space
Seagirt Boulevard Rezonings EAS Figure D-7 Incremental Shadows on June 21
5:00 PM
6:00 PM
Fernside Pl. Site Development
Incremental Shadow Open Space
Fernside Place Greenstreet
Fernside Place Greenstreet
ATTACHMENT E
URBAN DESIGN AND VISUAL RESOURCES
E-1
Seagirt Boulevard Rezonings EAS
Attachment E: Urban Design and Visual Resources
I. INTRODUCTION
This attachment considers the potential effects of the proposed actions and subsequent development on
urban design and visual resources. As defined in the City Environmental Quality Review (CEQR) Technical
Manual, urban design is the totality of components that may affect a pedestrian’s experience of public
space. Elements such as streets, buildings, visual resources, open space, natural resources, wind, and
sunlight play an important role in the pedestrian experience. The proposed actions would facilitate the
redevelopment of two vacant parcels along Seagirt Boulevard in the Far Rockaway neighborhood of Queens
with residential and local retail uses.
In accordance with CEQR Technical Manual guidelines, the assessment focuses on the components of the
proposed actions that may have the potential to alter the arrangement, appearance, and functionality of the
built environment. As described in Attachment A, “Project Description,” the proposed actions would
facilitate the development of the two subject parcels with three buildings (two buildings on the Fernside
Place Site and one building on the Beach 13th Street Site) totaling approximately 43,873 gross square feet
(gsf), including 31,850 gsf of residential floor area (27 dwelling units (DU)), approximately 12,023 gsf of
retail, and 59 accessory parking spaces (the “proposed project”).
The proposed project is expected to completed and operational by 2018. In the absence of the proposed
actions (the No-Action condition) it is assumed that the development sites would remain vacant, as under
existing conditions. The effect of the proposed actions represents the incremental effect on conditions
resulting from the net change in development between No-Action and With-Action conditions.
II. PRINCIPAL CONCLUSIONS
The proposed actions and subsequent development would not have a significant adverse impact on the
area’s urban design and visual resources. The proposed actions would facilitate new development, including
residential and retail uses along a primary corridor of the Far Rockaway neighborhood. The proposed
project would improve the urban design of the development sites by replacing vacant land with new
buildings and landscaping that would enliven the streetscape. The proposed project would be consistent
with and complement the existing building context, which includes a variety of residential building
typologies, as well as retail and open space uses. While the development sites are located in proximity to
the S/NR-listed Far Rockaway Beach Bungalow Historic District and the Rockaway Beach and Boardwalk,
the proposed project would not block significant or unique views of any visual resources or obstruct
important views or view corridors. It is expected that the proposed actions would have a beneficial impact
on the urban design and visual resources of the primary and secondary study areas.
III. METHODLOGY
Pursuant to the CEQR Technical Manual, an assessment of urban design is appropriate when a project may
have effects on one or more of the elements that contribute to the pedestrian experience of public space.
The assessment focuses on the components of a proposed actions or project that may have the potential to
alter the arrangement, appearance, and functionality of the built environment.
Seagirt Boulevard Rezonings EAS Attachment E: Urban Design and Visual Resources
E-2
As described in the CEQR Technical Manual, a preliminary urban design analysis is appropriate when there
is potential for a pedestrian to observe from the street level a physical alteration beyond that allowed by
existing zoning. A preliminary analysis provides a “snapshot” of the project, comparing existing and future
conditions with and without the proposed actions. The following analysis examines each of the elements
that play an important role in the pedestrian experience, including street hierarchy and streetscape
(including the arrangement and orientation of streets); building scale, form and arrangement; and natural
features, open space, and topography.
Per criteria of Section 230 of the CEQR Technical Manual a wind condition analysis is not warranted for
the proposed actions. The development sites are not located in a high wind location (such as along west and
northwest-facing waterfronts) and the proposed project would not be of a “substantial size” that would have
the potential to alter wind conditions.
The analysis is based on field visits, aerial views, photographs, and other graphic images of the development
sites and surrounding area. Zoning calculations, including floor area calculations, building heights and lot
coverage information is also provided.
The following preliminary analysis also considers the effects of the proposed project on the area’s visual
resources, which are generally considered to be important public view corridors, vistas, or natural or built
features. Visual resources can include waterfront views, public parks, landmark structures or districts, or
natural features, such as rivers or geologic formations.
Based on CEQR Technical Manual guidelines, the study area for urban design is the area where the project
may influence land use patterns and the built environment. The urban design study area consists of both a
primary study area (where urban design effects of the proposed actions are direct) and a secondary study
area. For the purpose of this assessment, the primary study area encompasses the two development sites.
Consistent with the analysis of land use, zoning, and public policy, the secondary study area for urban
design resources has been defined as being within approximately 400 feet of the project area (see Figure E-
1).
As stated in the CEQR Technical Manual, for visual resources, the view corridors within the study area
from which such resources are publicly viewable should be identified. While the land use study area may
serve as the initial basis for analysis, in many cases where significant visual resource exist, it may be
appropriate to look beyond the land use study area to encompass views outside of the area, as if often the
case with waterfront sites or sites within or near historic districts. For the purpose of this analysis, prominent
visual resources (both within and outside of the urban design study area) that are visible from the project
site and study area were identified. The primary view sheds of these visual resources that would be affected
by construction of the proposed project were the focus of the visual resources analysis.
IV. PRELIMINARY ASSESSMENT
Existing Conditions
Primary Study Area
Urban Design
The primary study area is comprised of two non-contiguous sites: Queens Block 15784, Lot 1 (the Fernside
Place Site) and Queens Block 15620, Lots 1 and 11 (the Beach 13th Street Site), both of which are located
Seagirt Boulevard Rezonings EAS Figure E-1Urban Design Study Area
Primary Study Area Secondary Study Area
SEAGIRT BOULEVARDSEAGIRT AVE
CAMP RD
WATJEAN CT
FERN
SIDE
PL HEYSON RD
BEA
CH
13TH ST
BEA
CH
12TH ST
Fernside Pl. Site
Beach 13th St. Site
Seagirt Boulevard Rezonings EAS Attachment E: Urban Design and Visual Resources
E-3
on the north side of Seagirt Boulevard. Seagirt Boulevard is a two-way six-lane major roadway with a
central planted median and parking on both sides. As described in Attachment A, “Project Description,”
both of the development sites are currently vacant and surrounded by chain link fencing.
The approximately 30,216-sf Fernside Place Site has approximately 170 feet of frontage on Seagirt
Boulevard to the south, approximately 155 feet of frontage on Fernside Place to the east, and approximately
169 feet of frontage on Watjean Court to the north. The Fernside Place Site is slightly elevated above Seagirt
Boulevard’s northern sidewalk. A cinder block retaining wall in various states of disrepair lines the property
along Seagirt Boulevard. Streetscape elements along Seagirt Boulevard’s Fernside Place Site frontage are
limited to standard bus stop and parking signage and a fire hydrant; there are no street trees along this
portion of Seagirt Boulevard. Fernside Place (to the east of the Fernside Place Site) serves two-way traffic,
with a Greenstreet separating the northbound and southbound traffic lanes at the roadway’s intersection
with Seagirt Boulevard. A narrow sidewalk with a planting strip lines the Fernside Place Site along its
Fernside Place frontage. While there are no street trees planted along the western side of Fernside Place
adjacent to the Fernside Place Site, existing trees along the border of the Fernside Place Site and the adjacent
sidewalk provide shading on the Fernside Place sidewalk. Watjean Court, which runs along the northern
border of the Fernside Place Site, serves one-way westbound traffic; there are no sidewalks along the
Fernside Place Site’s Watjean Court frontage. Photos of the Fernside Place Site are provided in Figure E-
2.
The approximately 17,373-sf Beach 13th Street Site is a narrow triangular block with approximately 326
feet of frontage along Seagirt Boulevard to the south, approximately ten feet of frontage on Beach 12th
Street to the east, approximately 296 feet of frontage on Heyson Road to the north, and approximately 107
feet of frontage on Beach 13th Street to the west. Beach 13th Street, Heyson Road, and Beach 12th Street are
narrow local roadways; Heyson Road and Beach 13th Street serve two-way traffic, and the adjacent portion
of Beach 12th Street is one-way southbound. Streetscape elements along the adjacent roadways are limited
to standard parking signage and fire hydrants, with street trees only present along Seagirt Boulevard. The
sidewalks along Heyson Road is currently in various stages of disrepair. Photos of the Beach 13th Street
Site are provided in Figure E-3.
Visual Resources
While there are no visual resources within the primary study area, two visual resources are visible from
within the primary study area: the S/NR-listed Far Rockaway Beach Bungalow Historic District is partially
visible from the Fernside Place Site, and the Rockaway Beach and Boardwalk is partially visible from the
Beach 13th Street Site.
As described in Attachment B, “Supplemental Screening,” the S/NR-listed Far Rockaway Beach Bungalow
Historic District comprises portions of Beach 24th, Beach 25th, and Beach 26th Streets and includes
approximately 100 contributing summer bungalows constructed in 1921. The bungalows are all one and a
half story wood-frame dwellings with gable, hipped, or clipped gable roofs. Only the northernmost portion
of the Historic District is visible from the Fernside Place Site’s southern (Seagirt Boulevard) and eastern
(Fernside Place) frontages. As shown in Figure E-4, the Historic District is viewed within its broader
context, which includes several taller buildings of up to 15 stories, as well as one-story retail buildings with
surface parking.
The Rockaway Beach and Boardwalk is located to the south of the Beach 13th Street Site across Seagirt
Boulevard and is visible along all of the parcel’s frontages. Due to topographic variability and the presence
of built structure within the park, views of this visual resource from the Beach 13th Street Site are generally
limited to portions of its surface parking lot (see Figure E-4).
Seagirt Boulevard Rezonings EAS Figure E-2
Fernside Place Site
View southwest from the northwest corner of Seagirt Boulevard and Fernside Place
View northwest from Fernside Place south of Watjean Court.
Seagirt Boulevard Rezonings EAS Figure E-3 Beach 13th Street Site
View west from the intersection of Heyson Road and Beach 11th Street.
View southeast from the corner of Heyson Road and Beach 13th Street.
Seagirt Boulevard Rezonings EAS Figure E-4
Visual Resources
Far Rockaway Beach Bungalow Historic District - view south along Beach 25th Street from Seagirt Boulevard.
Rockaway Beach and Boardwalk - view south from Beach 13th Street Site
Seagirt Boulevard Rezonings EAS Attachment E: Urban Design and Visual Resources
E-4
Secondary Study Area
As shown in Figure E-1, the 400-foot secondary study area encompasses two non-contiguous areas. The
400-foot radius around the Fernside Place Site (the “Fernside Place Site secondary study area subarea”)
generally extends to Beach 27th Street to the west, Camp Road to the north, mid-block between Fernside
Place and Beach 20th Street to the east, and slightly beyond Seagirt Avenue to the south. The 400-foot radius
around the Beach 13th Street Site (the “Beach 13th Street Site secondary study area subarea”) generally
extends to Beach 14th Street to the west, Plainview Avenue to the north, Beach 9th Street to the east, and the
Rockaway Beach and Boardwalk to the south. A discussion of the urban design and visual resources of
these non-contiguous secondary study area subareas is provided below.
Urban Design
Fernside Place Site Subarea
As shown in Figure E-5, the street network and block patterns in the Fernside Place Site secondary study
area subarea does not follow a standard street grid or block pattern. Long north-south oriented blocks and
two-way dead end streets lie to the south of Seagirt Avenue, larger blocks lie to the east of Fernside Place
and Beach 24th Street, and irregularly shaped blocks and curvilinear roadways lie to the north of Seagirt
Avenue. The largest roadway in the subarea is Seagirt Boulevard, a six-lane separated major thoroughfare
with a central planted median. The only pedestrian crossing across Seagirt Boulevard in the subarea is at
Camp Road. Narrow sidewalks generally line the Fernside Place Site secondary study area subarea’s
roadways, and there are no bicycle lanes within the subarea. Standard streetlights, parking and bus signage,
and fire hydrants, are found throughout the Fernside Place Site secondary study area subarea, with street
trees found intermittently within the subarea; construction equipment and traffic cones dominate the
streetscape along Seagirt Avenue (see Figure E-6).
As described in Attachment C, “Land Use, Zoning, and Public Policy,” the Fernside Place Site secondary
study area subarea is predominantly comprised of residential uses, including one- and two-family homes
and larger multi-family residential buildings; a cluster of commercial buildings lies to the south of Seagirt
Boulevard (see Figure E-6). As shown in Figure E-5, buildings within the subarea range from one to over
four stories in height, with the tallest buildings in the eastern portion of the subarea. Built floor area ratios
(FARs) within the secondary study area range from less than 1.0 FAR to over 1.5 FAR (see Figure E-5);
the highest FAR building in the subarea (at 2.64 FAR) is located at the northeast corner of the intersection
of Edgemere Avenue and Camp Road.
The subarea buildings generally maintain consistent streetwalls setback from the street; residences along
the western side of Camp Road vary in orientation, responding to the curve of the roadway (see Figure E-
5). Front porches typify the one- and two-family houses founded in the subarea, and many of the front yards
of the subarea’s residential buildings are lined with decorative fencing and/or low brick or concrete
retaining walls. Two exceptions to this trends are the six-story buildings east of Fernside Place, which was
constructed in 1952 in the tower-in-the-park model with minimal street interaction (see Figure E-6) and a
row of three-story multi-family residential buildings along the west side of Beach 26th Street (south of
Seagirt Avenue), which were constructed in 2006 and is built to the street line.
Open spaces within the secondary study area are generally small. In addition to the Seagirt Boulevard
central median, there are multiple Greenstreets and planted traffic triangles within the secondary study area
at the junctures of adjacent roadways with this major thoroughfare. Other open space within the subarea
includes private residential front yards and a surface parking lot accessory to an existing laundromat on the
south side of Seagirt Boulevard (see Figure E-6).
SEAGIRT BLVD
SEAGIRT AV
CAM
P R
D
FERN
SIDE
PL
EDGEMERE AV
CREST RD
BEACH
29 ST
DEERFIELD RD
WATJEAN CT
BEACH
27 ST
BEACH
28 ST
BEACH
25 ST
BEACH
24 ST
HIGHLAND CT
BEACH
26 ST
BEACH
28 ST
BEACH
29 ST
SEAGIRT BLVD
BEACH
27 ST
BEACH
28 ST
Seagirt Boulevard Rezonings EAS Figure E-5
0 100 200 300 400Feet
LegendFernside Place Site
Secondary Study Area-Fernside Subarea
Building Height1-Story
1-2 Stories
2-4 Stories
>4 Stories
Secondary Study Area Buildings - Fernside Place Site Subarea
SEAGIRT BLVD
SEAGIRT AV
CAM
P R
D
FERN
SIDE
PL
EDGEMERE AV
DEERFIELD RD
BEACH
29 ST
WATJEAN CT
BEACH
27 ST
BEACH
28 ST
BEACH
25 ST
CREST RD
BEACH
24 ST
HIGHLAND CT
BEACH
26 ST
BEACH
28 ST
BEACH
29 ST
SEAGIRT BLVD
BEACH
27 ST
BEACH
28 ST
°
LegendSecondary Study Area- Fernside Subarea
Fernside Place Site
Built FAR0.0 - 0.5 FAR
0.5 - 1.0 FAR
1.0 - 1.5 FAR
> 1.5 FAR
Seagirt Boulevard Rezonings EAS Figure E-6 Fernside Place Site Secondary Study Area Subarea
View northeast on Highland Court north of Seagirt Boulevard. Multi-family residential development on the east side of Fernside Place.
Commercial development on the south side of Seagirt Boulevard. Construction on Seagirt Avenue (view east).
Seagirt Boulevard Rezonings EAS Attachment E: Urban Design and Visual Resources
E-5
Beach 13th Street Site Subarea
The Beach 13th Street Site secondary study area subarea is comprised of seven blocks (or portions thereof).
Seagirt Boulevard (a major thoroughfare, as described above) divides the northern and southern portions of
the subarea, with smaller predominantly residential blocks to the north and one large block comprised of
open space uses to the south (the Rockaway Beach and Boardwalk). Beach 11th, Beach 12th, and Beach 14th
Streets are all minor approximately 40-foot wide roadways with parking on both sides; Heyson Road and
Beach 13th Street are slightly wider. With the exception of Heyson Road, which is curved between Beach
13th and Beach 14th Streets, the remaining subarea streets are rectilinear, forming small trapezoidal blocks
to the north of the Beach 13th Street Site (see Figure E-7). As indicated in Figure E-8, street trees are more
prevalent in the Beach 13th Street Site subarea of the secondary study are, particularly north of Heyson
Road.
As described in Attachment C, “Land Use, Zoning, and Public Policy,” the Beach 13th Street Site secondary
study area subarea land uses predominantly comprise residential, institutional, and open space uses. As
indicated in Figure E-7, buildings within the Beach 13th Street Site secondary study area subarea range from
one to over four stories and are generally setback from the street forming consistent streetwalls. Many of
the buildings have planted front yards or parking areas, some of which are enclosed by decorative fencing
(see Figure E-8). Two exceptions to the general building trends in the subarea are the multi-family
residential building on the northwest corner of Heyson Road and Beach 13th Street and the Bais Yaakov
Ateres Miriam private school at the northeast corner of Heyson Road and Beach 13th Street (shown in Figure
E-8). The multi-family residential building was constructed in 1980, is the tallest building in the subarea at
six stories, and has a significantly larger building footprint and building setback than the remaining
buildings in the subarea. The private school at the northeast corner of the intersection has the highest FAR
of the subarea (1.9 FAR) and is also notable for its large footprint, which gives the building a comparatively
monumental character in relation to the surrounding lower density building stock.
The portion of the Rockaway Beach and Boardwalk that lies to the south of Seagirt Boulevard (within the
subarea) is primarily comprised of parking lots; recently improved active recreation facilities, including a
skate park, handball courts, and a basketball court are also within the subarea. The Boadwalk’s parking lots
are lined with grass strips, trees, and plantings. In addition to the Rockaway Beach and Boardwalk, open
space within the Beach 13th Street Site secondary study area subarea includes two lots on the northwest
corner of Heyson Road and Beach 12th Street that are used for parking for the adjacent Bais Yaakov Ateres
Miriam private school, a Greenstreet to the east of the Beach 13th Street Site between Hesyon Road and
Seagirt Boulevard, and private front yards.
Visual Resources
In addition to the aforementioned secondary study area visual resources that are visible from the primary
study area, panoramic views of the Atlantic Ocean, the beach, and the dunes are provided from the
Rockaway Beach and Boardwalk within the Beach 13th Street Site secondary study area subarea. Views of
the water are limited north of the Boardwalk by topographic variability.
Future without the Proposed Actions (No-Action Condition)
As described in Attachment A, “Project Description,” it is anticipated that no development would occur on
the development sites in the 2018 future without the proposed actions. In addition, there are no known or
anticipated developments in the secondary study area that are expected to be completed by 2018. As such,
the urban design, visual resources, and view corridors within the primary and secondary study areas would
remain as under existing conditions in the future No-Action condition.
SEAGIRT BLVD
HEYSON RD
BOARDWALK
BE
AC
H 1
4 S
T
BE
AC
H 1
3 S
T
PLAINVIEW AV
BE
AC
H 1
2 S
T
BE
AC
H 1
1 S
T
BE
AC
H 1
5 S
T
SEAGIRT AV
BEACH
9 ST
BEAC
H 1
6 ST
BEACH 16 ST
SEAGIRT BLVD
Seagirt Boulevard Rezonings EAS Figure E-7
0 100 200 300 400Feet
LegendBeach 13th Street Site
Secondary Study Area-Beach 13th Subarea
Building Height1-Story
1-2 Stories
2-4 Stories
>4 Stories
Secondary Study Area Buildings - Beach 13th Street Site Subarea
SEAGIRT BLVD
HEYSON RD
BOARDWALK
BE
AC
H 1
4 S
T
BE
AC
H 1
3 S
T
PLAINVIEW AV
BE
AC
H 1
2 S
T
BE
AC
H 1
1 S
T
BE
AC
H 1
5 S
T
BEACH
9 ST
SEAGIRT AV
BEAC
H 1
6 ST
BEACH 16 ST
SEAGIRT BLVD
BEACH 16 ST
°
LegendBeach 13th Street Site
Secondary Study Area-Beach 13th Subarea
Built FAR0.0 - 0.5 FAR
0.5 - 1.0 FAR
1.0 - 1.5 FAR
> 1.5 FAR
Seagirt Boulevard Rezonings EAS Figure E-8 Beach 13th Street Site Secondary Study Area Subarea
View southwest on Beach 13th Street from Heyson Road. Residential development at northwest corner of Beach 11th Street and Heyson Road.
Multi-family residential development on the northwest corner of Beach 13th Street and
Heyson Road.
Bais Yaakov Ateres Miriam private school at the northeast corner of Beach 13th Street
and Heyson Road.
Seagirt Boulevard Rezonings EAS Attachment E: Urban Design and Visual Resources
E-6
Future with the Proposed Actions (With-Action Condition)
Primary Study Area
Urban Design
The proposed actions would change the appearance of the development sites by replacing vacant land with
residential and retail buildings. While the change would be noticeable, it would not represent a significant
adverse urban design impact per the CEQR Technical Manual impact criteria. A discussion of the
development anticipated on the Fernside Place Site and the Beach 13th Street Site of the primary study area
and the resulting changes to the primary study area’s urban design is provided below.
Fernside Place Site
As facilitate by the proposed actions, the Fernside Place Site would be developed with two buildings: a
five-story 27 DU residential building, which would front Watjean Court, and a one-story retail building,
which would front Seagirt Boulevard. The Fernside Place Site residential building would be setback a
minimum of ten feet from the Watjean Court street widening line and 10.4 feet from Fernside Place. As
indicated in Figures E-9a and E-9b, while the Fernside Place Site residential building would comprise five
stories, from the pedestrian perspective the building would be the equivalent of a four-story structure, as
the first floor lobby would be constructed at a lower elevation than the adjacent Watjean Court (at
approximately elevation 11). Above the 2,326-sf residential lobby, floors two through five would have
larger footprints (ranging from 5,986 sf to 7,486 sf) creating an overhang under which the majority of the
building’s 29 accessory parking would be located. Access to the accessory garage would be provided via a
24-foot wide sloped entry/exit driveway on Watjean Court.
The Fernside Place Site’s proposed retail building would have a larger building footprint than the
development site’s residential building, with a footprint (and total gsf) of 5,629 sf. The one-story retail
building would be built to the street line along Seagirt Boulevard, with approximately 72.4 feet of frontage
along this roadway. To the southeast of the proposed retail building, 14 surface accessory parking spaces
would be provided, which would be accessed via a 24-foot wide entry/exit driveway along Seagirt
Boulevard. Planting strips would be provided along the border of the parking area, separating the paved
parking from the adjacent Seagirt Boulevard and Fernside Place sidewalks.
Overall, the proposed Fernside Place Site development would improve the urban design of the site,
replacing an existing vacant lot along a significant neighborhood corridor with retail and residential
development. The proposed residential building would serve as a transition between the two-story
residential buildings which typify the areas to the west and the larger multi-family buildings found to the
east of Fernside Place. The building’s setback would be in keeping with the setbacks found on adjacent
lots. Further, in orienting the Fernside Place Site residential development towards Watjean Court, the
proposed project would maintain the residential character of the blocks to the north of Seagirt Boulevard.
Locating the commercial building along Seagirt Boulevard would fill an existing void along this major
corridor, replacing a fenced-in vacant lot with a more active retail streetscape. Further, in accordance with
zoning regulations, street trees would be planted every 25 feet along the Fernside Place Site’s Seagirt
Boulevard, Fernside Place, and Watjean Court frontages, thereby improving the pedestrian environment as
compared to existing conditions. As such, the proposed Fernside Place Site development would not
represent a significant adverse urban design impact in the primary study area.
Seagirt Boulevard Rezonings EAS Figure E-9aComparison of Existing/No-Action and With-Action Conditions - View southwest from Watjean Court & Fernside Place
snoitidnoC noitcA-htiWsnoitidnoC noitcA-oN/gnitsixE
FOR ILLUSTRATIVE PURPOSES ONLY
Seagirt Boulevard Rezonings EAS Figure E-9bIllustrative Fernside Place Site Development Massing
1468NYRF - Mixed-Use Rockaway, NY
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or in part may be made without the express written permission of Zyscovich Architects. All designs indicated in these drawings are the property of Zyscovich Architects.All copyrights reserved ©2013.
September 3, 2015Fernside - Rendering
270 Lafayette St., Suite 905 New York City, NY 10012t 212.343.0044
e [email protected] www.zyscovich.com
FOR ILLUSTRATIVE PURPOSES ONLY
Seagirt Boulevard Rezonings EAS Attachment E: Urban Design and Visual Resources
E-7
Beach 13th Street Site
In the With-Action condition, the Beach 13th Street Site would be developed with a 6,394 gsf one-story
retail building and 16 surface accessory parking spaces. As shown in Figures E-10a and E-10b, the building
would be constructed on the westernmost portion of the lot and would be built to the street line along the
entirety of Beach 13th Street and portions of Seagirt Boulevard and Heyson Road. One vehicle entry/exit
driveway would be provided along Seagirt Boulevard to the east of the proposed building. The parking lot
would be separated from the sidewalk by a planting strip, and the easternmost portion of the project site
would be improved with trees and landscaping, as required pursuant to zoning. In addition, in accordance
with zoning regulations, street trees would be planted every 25 feet along the Beach 13th Street Site’s street
frontages.
The proposed Beach 13th Street Site development would replace a long vacant lot with retail uses, activating
the streetscape and improving the pedestrian environment. The scale of the project would be in keeping
with the variety of building forms found on adjacent blocks. The Beach 13th Street Site building massing
would be focused at the northeast corner of Beach 13th Street and Heyson Road and would be built to the
streetline, similar to the private school located directly across Heyson Road (refer to Figure E-7). As such,
the proposed Beach 13th Street Site development would not represent a significant adverse urban design
impact in the primary study area.
Visual Resources
The proposed project would not block any significant views of visual resources from the primary study
area.
As described above, while there are no visual resources within the primary study area, two visual resources
are visible from within the primary study area: the Far Rockaway Beach Bungalow Historic District is
partially visible from the Fernside Place Site, and the Rockaway Beach and Boardwalk is partially visible
from the Beach 13th Street Site. The proposed Fernside Place Site development would not block any
significant views of the Far Rockaway Beach Bungalow Historic District as existing views of this resource
from the primary study area are limited to the areas along the southern and eastern boundaries of the
Fernside Place Site. The Far Rockaway Beach Bungalow Historic District would continue to be experienced
within the broader context within which it is situated, which includes a variety of architectural styles,
including residential buildings of up to 15 stories in height and low-rise commercial buildings with at-grade
parking.
While the proposed Beach 13th Street Site development would block some existing views of the Rockaway
Beach and Boardwalk from the northwestern portion of the development site, by focusing the building bulk
on the westernmost potion of the Beach 13th Street Site, the effect on views from the north of this visual
resource would be minimized, and the proposed Beach 13th Street Site development would not block any
unique or significant views of this visual resource. As such, the proposed project would not result in a
significant adverse visual resources impact in the primary study area.
Secondary Study Area
Urban Design
The proposed project is not expected to result in a significant adverse impact to urban design in the
secondary study area. The Fernside Place Site residential building that would be facilitated by the proposed
0a1-E erugiFSAE sgninozeR draveluoB trigaeSComparison of Existing/No-Action and With-Action Conditions -
View northeast from the Rockaway Beach and Boardwalk
Existing/No-ActionConditions
With-ActionConditions
1468NYRF - Mixed-Use Rockaway, NY
No copies, transmissions, reproductions, or electronic revisions of any portions of these drawings in whole or in part may be made without the express written permission of Zyscovich Architects. All designs indicated in these drawings are the property of Zyscovich Architects.All copyrights reserved ©2013.
September 3, 2015B.13 - Rendering
270 Lafayette St., Suite 905 New York City, NY 10012t 212.343.0044
e [email protected] www.zyscovich.com
Seagirt Boulevard Rezonings EAS Figure E-10bIllustrative Beach 13th Street Site Development Massing
FOR ILLUSTRATIVE PURPOSES ONLY
Seagirt Boulevard Rezonings EAS Attachment E: Urban Design and Visual Resources
E-8
actions would be in keeping with the mix of residential building typologies and the proposed retail buildings
would complement the existing urban design character of the secondary study area.
As noted above, the proposed buildings would be consistent with and would complement the urban design
character of the secondary study area, replacing existing voids in the urban fabric with one- to five-story
buildings, consistent with the variety of building heights found in the secondary study area.
The buildings’ relationship with the street would be appropriate given their locations within the secondary
study area. The Fernside Place Site residential building along Watjean Court would be consistent with the
setback residential buildings that currently exist on adjacent lots and would serve as a transition between
the taller, higher density multi-family residential buildings on the east side of Fernside Place and the lower-
density one- to two-story single-family residential buildings to the north and west of the development site.
The proposed Fernside Place Site and Beach 13th Street Site retail buildings would be built to the street line,
responding to and complementing their context along Seagirt Boulevard. As described under existing
conditions, there are several local businesses along Seagirt Boulevard in close proximity to the Fernside
Place Site; the proposed Beach 13th Street Site retail building would enhance the surrounding secondary
study area and respond to the existing context of the Rockaway Beach and Boardwalk and its associated
concession stand. As such, the proposed project would not result in a significant adverse impact on urban
design in the secondary study area.
Visual Resources
The proposed project would not block any significant views of visual resources from the secondary study
area.
As noted above, existing views of the Far Rockaway Beach Bungalow Historic District from the secondary
study area are limited to the areas south and east of the Fernside Place Site. While the proposed Fernside
Place Site development would be visible from certain vantage points, altering the context within which the
Historic District is experienced, the change would not represent a significant adverse impact. The Far
Rockaway Beach Bungalow Historic District would continue to be experienced within the broader context
within which it is situated, which includes a variety of architectural styles (refer to Figure E-4).
While the proposed Beach 13th Street Site development would block some existing views of the Rockaway
Beach and Boardwalk from areas of the secondary study area to the northwest of the development site, as
noted above, these views are not considered unique or significant view corridors, and many similar views
of this visual resource would remain in the future with the proposed actions. As noted above, visual access
to the water is limited at street level north of the Boardwalk by topographic variability, and the proposed
project would not affect the existing views of the water currently provided from the Rockaway Beach and
Boardwalk. As such, the proposed project would not result in a significant adverse impact to secondary
study area visual resources or view corridors.
ATTACHMENT F
WATER AND SEWER INFRASTRUCTURE
F-1
Seagirt Boulevard Rezonings EAS
Attachment F: Water and Sewer Infrastructure
I. INTRODUCTION
As defined in the City Environmental Quality Review (CEQR) Technical Manual, infrastructure comprises
the physical systems that support populations and includes structures such as water mains and sewers,
bridges and tunnels, roadways, and electrical substations. These structures are static and thus have defined
capabilities that may be affected by growth in a particular area. The purposes of the water and sewer
infrastructure analysis is to assess whether projects undergoing review may adversely affect the City’s water
distribution or sewer system and, if so, assesses the effects of such projects to determine whether their
impact is significant.
As described in Attachment A, “Project Description,” the proposed actions would facilitate the development
of two sites along Seagirt Boulevard in the Far Rockaway neighborhood of Queens. In total, the proposed
project would comprise a combined total of 27 dwelling units (DU), 12,023 gross square feet (gsf) of local
retail, and 59 accessory parking spaces on two development sites. The proposed project is not expected to
exceed the CEQR Technical Manual incremental development thresholds for water supply and wastewater
and stormwater conveyance and treatment. However, given the location of the project area on the Rockaway
Peninsula, an area that experiences low water pressure (e.g., an area at the end of the water supply
distribution system), a preliminary infrastructure assessment is warranted and is provided below.
II. PRINCIPAL CONCLUSIONS
While the proposed project would generate increased demand on the New York City Department of
Environmental Protection (DEP) water supply system as compared to the No-Action condition, the water
demand associated with the proposed project would not adversely impact the City’s water supply or system
water pressure. In total, the proposed project would generate water demands of approximately 12,246
gallons per day, with 9,625 gpd of demand generated by the Fernside Place Site development and 2,622
gpd generated by the Beach 13th Street Site development. The proposed project would be served by existing
water mains adjacent to the development sites. The estimated water demands associated with the proposed
project would represent approximately 0.001 percent of the City’s average daily water supply of
approximately one billion gpd and would, therefore, not adversely impact the City’s water supply or system
water pressure.1
III. METHODOLOGY
This analysis follows the methodologies set forth in the CEQR Technical Manual. Pursuant to CEQR, a
preliminary water analysis is needed if a project would result in an exceptionally large demand of water
(over 1,000,000 gpd) or is located in an area that experiences low water pressure (i.e., at the end of the
water supply distribution system, such as the Rockaway Peninsula or Coney Island). Although the proposed
project would result in minimal water demand, as the development sites are located in the Far Rockaways
neighborhood on the Rockaway Peninsula, a preliminary water supply analysis is warranted.
1 DEP reviewed Attachment F, “Water and Sewer Infrastructure,” and had no comments on the attachment or the
conclusions presented herein.
Seagirt Boulevard Rezonings EAS Attachment F: Water and Sewer Infrastructure
F-2
A preliminary sewer analysis is warranted if a project site comprises more than five acres and would result
in an increase of impervious surfaces on the site, or if a project is located in a combined sewer area and
would result in the incremental development of at least 400 residential units or 150,000 sf or more of
commercial space in the Bronx, Brooklyn, Staten Island, or Queens or at least 1,000 residential units or
250,000 sf or more of commercial space in Manhattan. As the development sites are located in a combined
sewer area in Queens and the proposed project would not exceed the CEQR Technical Manual floor area
thresholds, a preliminary sewer analysis is not warranted, and the proposed actions are not expected to
result in significant adverse impacts to the City’s sewer system.
An analysis of water demand is a density-based technical analysis. To assess the proposed actions’ potential
impacts on water supply infrastructure, this attachment:
Describes the existing water infrastructure serving the development sites and estimates water
demand under existing conditions and in the No-Action condition (for the 2018 analysis year).
Existing and future water demands are calculates based on use generation rates provided in the
CEQR Technical Manual, which are shown in Table E-1, below.
Describes planned No-Action infrastructure improvements, as warranted, including the affected
area, project components, and current schedules.
Forecasts water demand generated by the proposed project based on CEQR Technical Manual
guidelines (refer to Table E-1 for the applicable water consumption rates).
Assesses the effects of the proposed project’s water demand on the City’s infrastructure, pursuant
to CEQR Technical Manual guidelines.
Table E-1: Water Consumption Rates
Land
Use
Rate
Domestic Air Conditioning
Residential 271 gpd/DUA N/A
Retail 0.24 gpd/sf 0.17 gpd/sf
Source: Consumption rate obtained from the CEQR Technical Manual Table 13-2 “Water Usage and Sewage Generation Rates for
Use in Impact Assessment.”
Notes: A Based on Queens Community District (CD) 14 housing occupancy rate of 2.71 persons per dwelling unit and domestic water
consumption rate of 100 gpd/person.
IV. EXISTING CONDITIONS
The New York City water supply system comprises a network of reservoirs, lakes, and aqueducts extending
north and west of the City and a pipe network that distributes water within the City. Because the Hudson,
Harlem, and East Rivers are not potable water sources, New York City obtains nearly all of its water from
the Delaware, Catskill, and Croton watersheds, which are located within 125 miles of the City. Water from
the watersheds is stored at 19 reservoirs and three control lakes, having a combined capacity of
approximately 580 billion gallons. The water is then carried into the City by a number of aqueducts. The
water enters the City via City Tunnel 1 (which runs through the Bronx, Manhattan, and Queens) and City
Tunnel 2 (which runs through the Bronx, Queens, and Brooklyn). The partially complete City Tunnel 3
serves the Bronx, Manhattan, and Queens, and, when fully complete, will terminate in Brooklyn. Staten
Island obtains its water via the Richmond Tunnel, which is an extension of City Tunnel 2.
Once in the City, the three aqueducts distribute water into a network of water mains. Water mains up to 96
inches in diameter feed the smaller mains, which deliver water to their final destination. These are the same
mains that provide water to fire hydrants. Nearly all of the water reaches its consumers by gravity alone,
although some four percent (generally located at the outer limits of the system where in-line pressure is
Seagirt Boulevard Rezonings EAS Attachment F: Water and Sewer Infrastructure
F-3
lowest, at high elevations, or at a pressure extremity such as Far Rockaway) is pumped to its final
destination. Pressure regulators throughout the City monitor and control the water pressure.
Between 2013 and 2015, DEP and the New York City Department of Design and Construction (DDC)
undertook significant water delivery system upgrades in portions of Queens, including Far Rockaway. The
upgrade included installing nearly 13 miles of new 20-inch, 12-inch, and eight-inch diameter ductile iron
water mains to serve residential and commercial properties. The new distribution system replaced dead
ends with looped mains, thereby improving water quality by ensuring that it is always moving.
City water mains exist in the streets fronting the two development sites. Adjacent to the Fernside Place Site,
a 12-inches ductile iron pipe (DIP) water main constructed in 1987 runs beneath Seagirt Boulevard; a 12-
inch lined cast iron pipe (LCP) water main constructed in 1952 runs beneath Fernside Place; and an eight-
inch water main was recently constructed beneath Watjean Court. Adjacent to the Beach 13th Street Site, a
12-inch DIP water main constructed in 1984 runs beneath Heyson Road, and a 12-inch DIP water main
constructed in 1980 runs beneath Beach 13th Street.
As indicated in Attachment A, “Project Description,” the development sites are currently vacant. As such,
there is no measurable water demand on the development sites under existing conditions.
V. FUTURE WITHOUT THE PROPOSED ACTIONS (NO-ACTION
CONDITION)
The overall water supply system in New York City is not expected to change materially in the future without
the proposed actions. In 2011, DEP launched the Water for the Future program, a comprehensive long-term
planning effort to repair leaks in sections of the Delaware Aqueduct by 2021. To support this program, a
newly created Demand Management Unit within DEP was tasked with the development of a citywide
strategy that will outline DEP’s plan for implementing water demand management projects. DEP’s 2013
Water Demand Management Plan identified five key strategies for managing water demand in New York
City and detailed 21 specific initiatives to be implemented by 2021 in order to achieve targeted water
demand reductions. It is anticipated that several of these initiatives will be instituted by the 2018 analysis
year, which may offset much of the increased demands citywide that may result from population growth
and new development.
In the future without the proposed actions (the No-Action condition), it is anticipated that the two
development sites would remain vacant, as under existing conditions. As such, there would be no
measurable water demand on the development sites in the No-Action condition.
VI. FUTURE WITH THE PROPOSED ACTIONS (WITH-ACTION
CONDITION)
In the future with the proposed actions (the With-Action condition), it is expected that the applicant would
construct the proposed project on the development sites. As described in Attachment A, “Project
Description,” the applicant is proposing to develop the two development sites with a total of approximately
31,850 gsf of residential floor area (27 DU), approximately 12,023 gsf of retail, and 59 accessory parking
spaces. The Fernside Place Site would be developed with two freestanding buildings: a 5,629-gsf single-
story retail building fronting on Seagirt Boulevard and a five-story 31,850-gsf multi-family residential
building with 27 DU fronting on Watjean Court. The Beach 13th Street Site would be developed with a
6,394-gsf single-story retail development.
Seagirt Boulevard Rezonings EAS Attachment F: Water and Sewer Infrastructure
F-4
The proposed project would generate increased demand on the DEP water supply system as compared to
the No-Action condition. As indicated in Table E-2, the proposed project would generate water demands
of approximately 12,246 gallons per day (gpd), with 9,625 gpd of demand generated by the Fernside Place
Site development and 2,622 gpd generated by the Beach 13th Street Site development. These estimated
demands include water for domestic use as well as air conditioning systems.
Table E-2: With-Action Water Consumption
Land Use Area (gsf)
Domestic Use
(gpd)
Air Conditioning
(gpd)
Total Water
Supply Demand
(gpd)
Fernside Place Site
Residential (27 DU) 7,317 N/A 7,317
Retail 5,629 gsf 1,351 957 2,308
Fernside Place Site Subtotal 8,668 957 9,625
Beach 13th Street Site
Retail 6,394 1,535 1,087 2,622
Totals 10,203 2,044 12,246
As noted earlier, the development sites are served by multiple existing water mains: the Fernside Place Site
is served by eight- to 12-inch water mains in Seagirt Boulevard, Fernside Place, and Watjean Court; and
the Beach 13th Street Site is served by 12-inch water mains in Heyson Road and Beach 13th Street. The
proposed project would connect to these existing water mains.
Given the size of New York City’s water supply system and the City’s commitment to maintaining adequate
water supply and pressures, few actions have the potential to cause significant adverse impact on this
system. Demand in the future with the proposed actions would represent approximately 0.001 percent of
the City’s average daily water supply of approximately one billion gpd. The water demand associated with
the proposed project would, therefore, not adversely impact the City’s water supply or system water
pressure.2
2 DEP reviewed Attachment F, “Water and Sewer Infrastructure,” and had no comments on the attachment or the
conclusions presented therein.
ATTACHMENT G
AIR QUALITY
G-1
Seagirt Boulevard Rezonings EAS
Attachment G: Air Quality
I. INTRODUCTION
As detailed in Attachment A, “Project Description,” the proposed actions, which includes two related
zoning map amendments that would rezone two parcels along Seagirt Boulevard in the Far Rockaways
neighborhood of Queens, would facilitate the development of a one-story retail building and a five-story
residential building on Queens Block 15784, Lot 1 (the Fernside Place Site) and a one-story retail building
on Queens Block 15620, Lots 1 and 11 (the Beach 13th Street Site). The proposed developments on the two
subject parcels would total approximately 43,873 gross square feet (gsf), including approximately 31,850
gsf of residential floor area (27 dwelling units (DU)), approximately 12,023 gsf of retail floor area, and 59
accessory parking spaces.
As the proposed project would introduced heating/hot water, ventilation, and air conditioning (HVAC)
systems that would burn fossil fuels, air quality could be affected by the proposed project. A screening
analysis prepared pursuant to the requirements of the City Environmental Review (CEQR) Technical
Manual and presented in Attachment B, “Supplemental Screening,” determined that a detailed analysis of
emissions from the Fernside Place Site retail building’s HVAC system on the Fernside Place Site residential
building, which would be located less than 30 feet apart at their closest points. As the Fernside Place Site
residential building represents the closest sensitive receptor of equal or greater height than the proposed
Fernside Place Site retail building, it represents the worst-case condition for the detailed project-on-project
impact analysis.
II. PRINCIPAL CONCLUSIONS
Potential emissions of the PM2.5, NO2, and SO2 from HVAC system of the Fernside Place Site retail building
would not significantly impact the proposed Fernside Place Site residential building (the nearest sensitive
receptor of equal or greater height), and no stack setback or E-designation is warranted for the retail
building. In addition, as presented in Attachment B, “Supplemental Screening,” the HVAC emissions of
the proposed Fernside Place Site residential building and the proposed Beach 13th Street Site retail building
do not have the potential to result in significant adverse stationary source air quality impacts on nearby
existing sensitive receptors, nor does the proposed project have the potential to result in significant adverse
mobile source air quality emissions.
III. STATIONARY SOURCE ANALYSIS METHODOLOGY
Relevant Air Pollutants
The U.S. Environmental Protection Agency (EPA) has identified several pollutants, which are known as
criteria pollutants, as being of concern nationwide. As the retail building would be heated by fuel oil
Number 2, the three criteria pollutants associated with fuel oil combustion – nitrogen dioxide (NO2),
particulate matter smaller than 2.5 microns (PM2.5), and sulfur dioxide (SO2) – were considered for analysis.
Seagirt Boulevard Rezonings EAS Attachment G: Air Quality
G-2
Applicable Air Quality Standards and Significant Impact Criteria
As required by the Clean Air Act, National Ambient Air Quality Standards (NAAQS) have been established
for the criteria pollutants by EPA. The NAAQS are concentrations set for each of the criteria pollutants in
order to protect public health and the nation’s welfare, and New York has adopted the NAAQS as the State
ambient air quality standards. This analysis addressed compliance of the potential impacts with the one-
hour and annual NO2 NAAQS.
In addition to the NAAQS, the CEQR Technical Manual requires that projects subject to CEQR apply a
PM2.5 significant impact criteria (based on concentration increments) developed by the New York City
Department of Environmental Protection (DEP) to determine whether potential adverse PM2.5 impacts
would be significant. If the estimated impacts of a proposed project are less than these increments, the
impacts are not considered to be significant.
This analysis, therefore, also addressed compliance of the potential impacts with the 24-hour and annual
PM2.5 CEQR Technical Manual significant impact criteria.
PM2.5 CEQR Significant Impact Criteria
CEQR Technical Manual guidance includes the following criteria for evaluating significant adverse PM2.5
incremental impacts:
Predicted 24-hour maximum PM2.5 concentration increase of more than half the difference
between the 24-hour PM2.5 background concentration and the 24-hour standard.
The 24-hour PM2.5 background concentration was developed from monitoring data collected by the New
York State Department of Environmental Conservation (NYSDEC) at the Queens College 2 monitoring
station (New York State Ambient Air Quality Report for 2014, Region 2 Air Quality Data for 2012-2014).
The 24-hour PM2.5 background concentration, based on the average of 98th percentile for the last three years
(2012-2014), is 21.7 µg/m3. Half the difference between the NAAQS 24-hour standard of 35 µg/m3 and
this background value is 6.7 ug/m3. As such, an incremental concentration increase of 6.7 µg/m3 was used
for determining whether potential 24-hour PM2.5 impacts of the HVAC stack emissions from the Fernside
Place Site retail building are considered to be significant.
For annual average adverse PM2.5 incremental impact, according to CEQR guidance:
Predicted annual average PM2.5 concentration increments greater than 0.3 ug/m3 at any
receptor location for stationary sources.
The above 24-hour and annual significant impact criteria were used to evaluate the significance of predicted
PM2.5 impacts.
NO2 NAAQS
Nitrogen oxide (NOx) emissions from gas combustion consist predominantly of nitric oxide (NO) at the
source. The NOx in these emissions are then gradually converted to NO2, which is the pollutant of concern,
in the atmosphere (in the presence of ozone and sunlight as these emissions travel downwind of a source).
The one-hour NO2 NAAQS standard of 0.100 ppm (188 µg/m3) is the three-year average of the 98th
percentile of daily maximum one-hour average concentrations in a year. For determining compliance with
Seagirt Boulevard Rezonings EAS Attachment G: Air Quality
G-3
this standard, the EPA has developed a modeling approach for estimating one-hour NO2 concentrations that
is comprised of three tiers:
Tier 1, the most conservative approach, assumes a full (100 percent) conversion of NOx to NO2;
Tier 2 applies a conservative ambient NOx/NO2 ratio of 80 percent to the NOx estimated
concentrations; and
Tier 3, which is the most precise approach, employs AERMOD’s Plume Volume Molar Ratio
Method (PVMRM) module. The PVMRM accounts for the chemical transformation of NO emitted
from the stack to NO2 within the source plume using hourly ozone background concentrations.
Based on New York City Department of Planning (DCP) guidance, Tier 1, as the most conservative
approach, should initially be applied as a preliminary screening tool to determine whether violations of the
NAAQS is likely to occur. If exceedances of the one-hour NO2 NAAQS were estimated, the less
conservative Tier 3 approach should be applied.
The annual NO2 standard is 0.053 parts per million (ppm or 100 µg/m3). In order to conservatively estimate
annual NO2 impacts, a NO2 to NOx ratio of 0.75 percent, which is recommended by DEP for an annual
NO2 analysis, was applied.
Applied Standards and Guidelines
The current standards and CEQR guideline values that were applied to this analysis, together with their
health-related averaging periods, are provided in Table G-1.
Table G-1: Applicable National Ambient Air Quality Standards and CEQR Incremental
Thresholds
Pollutant Averaging Period National and State Standards1 CEQR Thresholds2
NO2 One-Hour 0.10 ppm (188 µg/m3)
Annual .053 ppm (100 µg/m3)
PM2.5 24-Hour 35 µg/m3 6.7 ug/m3
Annual 12 µg/m3 0.3 ug/m3
SO2 One-Hour 75 ppb (196 µg/m3)
Notes: 1 Source: US Environmental Protection Agency, “National Primary and Secondary Ambient Air Quality Standards”
(49 CFR 50). 2 CEQR incremental thresholds are project-specific and based on 24-hour PM2.5 background concentration in the
study area.
ppm = parts per million
µg/m3 = micrograms per cubic meter
Methodology
Project-on-Existing
As described in Attachment B, “Supplemental Screening,” as the Fernside Place Site residential building
and the Beach 13th Street Site retail building are both located more than 30 feet from the nearest building
of equal or greater height, nomograph screenings were prepared to determine the potential for stationary
source air quality impacts from the HVAC systems of these two buildings on nearby sensitive receptors.
As presented in Attachment B, based on the nomograph screenings, the HVAC systems of the Fernside
Seagirt Boulevard Rezonings EAS Attachment G: Air Quality
G-4
Place Site residential building and the Beach 13th Street Site retail building do not have the potential to
result in significant adverse air quality impacts on nearby existing sensitive receptors.
Project-on-Project
Because the Fernside Place Site retail building is located less than 30 feet from the Fernside Place Site
residential building, the CEQR Technical Manual screening analysis is not applicable for this building.
Therefore, a more detailed analysis, using the EPA AERSCREEN model, was conducted.
The AERSCREEN model predicts worst-case one-hour impacts downwind from a point, area, or volume
source. It generates application-specific worst-case meteorology using representative minimum and
maximum ambient air temperatures, and site-specific surface characteristics such as albedo, Bowen ratio,
and surface roughness. The model incorporates the PRIME downwash algorithms that are part of the
AERMOD refined model and utilizes BPIPRIM to provide a detailed analysis of downwash influences on
a direction-specific basis. It also utilizes AERMOD’s Plume Volume Molar Ratio Method (PVMRM)
module that can account for NOx to NO2 conversion for estimating one-hour NO2 impacts. The model was
run with urban diffusion coefficients, and with and without the influence of building downwash, and the
highest results are reported.
Emission Rates
Emission rates were estimated as follows
The analysis assumes that the Fernside Place Site retail building would be heated by fuel oil No.2.
Emission rates of NOx, PM2.5, and SO2 were calculated based on annual fuel usage corresponding
to the gross floor area of the Fernside Place Site retail building and EPA AP-42 emission factors
for fuel oil combustion in small boilers. Sulfur content in fuel oil No. 2 was assumed to be 15 ppm;
PM2.5 emissions from fuel oil combustion accounted for both filterable and condensable particulate
matter;
Short-term NO2, PM2.5, and SO2 emission rates were estimated by accounting for seasonal variation
in heat and hot water demand; and
Based on the CEQR Technical Manual Air Quality Appendix guidance, a fuel oil usage factor of
0.21 gallons per square foot was applied which is applicable for all non-mall buildings in northeast
region (Table C35: Fuel Oil Consumption and Conditional Energy Intensity by Census Region for
Non-Mall Buildings, 2006).
The emission rates used in this analysis are summarized in Table G-2, below.
Table G-2: Estimated PM2.5, NO2, and SO2 Emission Rates
Building
Height (ft)
Stack
Height (ft)
Floor
Area (ft2)
PM2.5 Emission Rate
(g/sec)
NO2 Emission Rate
(g/sec)
SO2 Emission
Rate (g/sec)
24-hour Annual One-hour Annual One-hour
10 13 5,629 2.25E-04
7.02E-05
1.09E-03
3.40E-
04
1.32E-05
Stack Parameters and Location
The minimum distance between the Fernside Place Site retail and residential buildings is 19’-6.5”. Although
multiple rooftop HVAC units could be located on the roof of the Fernside Place Site retail building, it was
conservatively assumed that one exhaust stack would be located on the roof, ten feet from the edge of the
Seagirt Boulevard Rezonings EAS Attachment G: Air Quality
G-5
Fernside Place Site retail building. As such, the closest distance of the Fernside Place Site retail building’s
HVAC exhaust stack from the Fernside Place Site residential building is approximately 29’-6.5”feet.
The diameter of the stack and the exhaust exit velocity were estimated based on values obtained from DEP
“CA Permit” database for the corresponding boiler sizes (i.e., rated heat input or million Btus per hour).
The boiler size was estimated based on the assumption that all fuel would be consumed during the 100 day
(or 2,400 hour) heating season. The stack exit temperature was assumed to be 300oF (423oK), which is
appropriate for heating units.
Background Concentrations
The following background concentrations were used in the analysis:
The maximum average one-hour NO2 background concentration of 57.9 ppb (108 µg/m3), which is
the three-year (2012-2014) average of the 98th percentile of daily maximum one-hour
concentrations;
The annual NO2 background concentration of 17.3 ppb (33 µg/m3); and
The one-hour SO2 background concentration of 14.3 ppb (37 µg/m3), which is the average of 99th
percentile for 2012-2014 from Queens College 2 monitoring station.
IV. RESULTS
PM2.5 Results
The result of the project-on-project analysis is that the maximum 24-hour PM2.5 impact would be 1.32
µg/m3, which is less than the CEQR Technical Manual significant threshold criteria of 6.7 µg/m3. The
annual estimated PM2.5 impact (0.068 µg/m3) would also be less than the CEQR Technical Manual
significant impact criteria of 0.3 µg/m3.
As such, potential impacts of the Fernside Place Site retail building’s PM2.5 emissions are not considered to
be significant and, as such, no setback or E-designation are warranted for the building’s stack.
NO2 Results
A Tier 1 NO2 project-on-project analysis was conducted of the retail building emissions impact, which
conservatively assumed a 100 percent conversion NOx to NO2. AERSCREEN estimates the maximum one-
hour concentration, while the format of the one-hour NO2 NAAQS is the 8th highest maximum
concentration. The same stack location as with PM2.5 analysis was used (ten feet from the Fernside Place
Site retail building’s edge, or approximately 29’-6.5” from the Fernside Place Site residential building).
The results of the analysis showed that the maximum estimated one-hour NO2 concentration (10.67 µg/m3),
with the added background concentration of 108 µg/m3, is less than the one-hour NO2 NAAQS of 188
µg/m3. In addition, the maximum annual total NO2 concentration, including a background value of 33
µg/m3, is less than annual NO2 NAAQS of 100 µg/m3.
Therefore, the potential impacts of the Fernside Place Site retail building’s NO2 emissions are not
considered to be significant and no setback or E-designation is warranted.
Seagirt Boulevard Rezonings EAS Attachment G: Air Quality
G-6
SO2 Results
The result of the SO2 project-on-project analysis showed that the estimated maximum one-hour SO2
concentration (0.13 µg/m3), with the added background concentration of 37 µg/m3, is less than the one-hour
SO2 NAAQS of 196 µg/m3.
Therefore, potential impacts of the Fernside Place Site retail building’s SO2 emissions are not considered
to be significant, and no setback or E-designation is warranted.
APPENDIX I
WRP CONSISTENCY ASSESSMENT FORM
WRP consistency form - January 2003 2
Proposed Activity Cont’d
4. If a federal or state permit or license was issued or is required for the proposed activity, identify the permit
type(s), the authorizing agency and provide the application or permit number(s), if known:
5. Is federal or state funding being used to finance the project? If so, please identify the funding source(s).
6. Will the proposed project require the preparation of an environmental impact statement?
Yes ______________ No ___________ If yes, identify Lead Agency:
7. Identify city discretionary actions, such as a zoning amendment or adoption of an urban renewal plan, required
for the proposed project.
C. COASTAL ASSESSMENT
Location Questions: Yes No
1. Is the project site on the waterfront or at the water’s edge?
2. Does the proposed project require a waterfront site?
3. Would the action result in a physical alteration to a waterfront site, including land along the
shoreline, land underwater, or coastal waters?
Policy Questions Yes No
The following questions represent, in a broad sense, the policies of the WRP. Numbers in
parentheses after each question indicate the policy or policies addressed by the question. The new
Waterfront Revitalization Program offers detailed explanations of the policies, including criteria for
consistency determinations.
Check either “Yes” or “No” for each of the following questions. For all “yes” responses, provide an
attachment assessing the effects of the proposed activity on the relevant policies or standards.
Explain how the action would be consistent with the goals of those policies and standards.
4. Will the proposed project result in revitalization or redevelopment of a deteriorated or under- used
waterfront site? (1)
5. Is the project site appropriate for residential or commercial redevelopment? (1.1)
6. Will the action result in a change in scale or character of a neighborhood? (1.2)
No federal or state permits/licenses have been issued or are required for theproposed project.
No federal or state funding will be used to finance the proposed project.
✔
A zoning map amendment is required for the proposed project.
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WRP consistency form - January 2003 3
Policy Questions cont’d Yes No
7. Will the proposed activity require provision of new public services or infrastructure in undeveloped
or sparsely populated sections of the coastal area? (1.3)
8. Is the action located in one of the designated Significant Maritime and Industrial Areas (SMIA):
South Bronx, Newtown Creek, Brooklyn Navy Yard, Red Hook, Sunset Park, or Staten Island? (2)
9. Are there any waterfront structures, such as piers, docks, bulkheads or wharves, located on the
project sites? (2)
10. Would the action involve the siting or construction of a facility essential to the generation or
transmission of energy, or a natural gas facility, or would it develop new energy resources? (2.1)
11. Does the action involve the siting of a working waterfront use outside of a SMIA? (2.2)
12. Does the proposed project involve infrastructure improvement, such as construction or repair of
piers, docks, or bulkheads? (2.3, 3.2)
13. Would the action involve mining, dredging, or dredge disposal, or placement of dredged or fill
materials in coastal waters? (2.3, 3.1, 4, 5.3, 6.3)
14. Would the action be located in a commercial or recreational boating center, such as City
Island, Sheepshead Bay or Great Kills or an area devoted to water-dependent transportation? (3)
15. Would the proposed project have an adverse effect upon the land or water uses within a
commercial or recreation boating center or water-dependent transportation center? (3.1)
16. Would the proposed project create any conflicts between commercial and recreational boating?
(3.2)
17. Does the proposed project involve any boating activity that would have an impact on the aquatic
environment or surrounding land and water uses? (3.3)
18. Is the action located in one of the designated Special Natural Waterfront Areas (SNWA): Long
Island Sound- East River, Jamaica Bay, or Northwest Staten Island? (4 and 9.2)
19. Is the project site in or adjacent to a Significant Coastal Fish and Wildlife Habitat? (4.1)
20. Is the site located within or adjacent to a Recognized Ecological Complex: South Shore of
Staten Island or Riverdale Natural Area District? (4.1and 9.2)
21. Would the action involve any activity in or near a tidal or freshwater wetland? (4.2)
22. Does the project site contain a rare ecological community or would the proposed project affect a
vulnerable plant, fish, or wildlife species? (4.3)
23. Would the action have any effects on commercial or recreational use of fish resources? (4.4)
24. Would the proposed project in any way affect the water quality classification of nearby
waters or be unable to be consistent with that classification? (5)
25. Would the action result in any direct or indirect discharges, including toxins, hazardous
substances, or other pollutants, effluent, or waste, into any waterbody? (5.1)
26. Would the action result in the draining of stormwater runoff or sewer overflows into coastal
waters? (5.1)
27. Will any activity associated with the project generate nonpoint source pollution? (5.2)
28. Would the action cause violations of the National or State air quality standards? (5.2)
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
✔
WRP consistency form - January 2003 4
Policy Questions cont’d Yes No
29. Would the action result in significant amounts of acid rain precursors (nitrates and sulfates)?
(5.2C)
30. Will the project involve the excavation or placing of fill in or near navigable waters, marshes,
estuaries, tidal marshes or other wetlands? (5.3)
31. Would the proposed action have any effects on surface or ground water supplies? (5.4)
32. Would the action result in any activities within a federally designated flood hazard area or state-
designated erosion hazards area? (6)
33. Would the action result in any construction activities that would lead to erosion? (6)
34. Would the action involve construction or reconstruction of a flood or erosion control structure?
(6.1)
35. Would the action involve any new or increased activity on or near any beach, dune, barrier
island, or bluff? (6.1)
36. Does the proposed project involve use of public funds for flood prevention or erosion control?
(6.2)
37. Would the proposed project affect a non-renewable source of sand ? (6.3)
38. Would the action result in shipping, handling, or storing of solid wastes, hazardous materials, or
other pollutants? (7)
39. Would the action affect any sites that have been used as landfills? (7.1)
40. Would the action result in development of a site that may contain contamination or that has
a history of underground fuel tanks, oil spills, or other form or petroleum product use or
storage? (7.2)
41. Will the proposed activity result in any transport, storage, treatment, or disposal of solid wastes
or hazardous materials, or the siting of a solid or hazardous waste facility? (7.3)
42. Would the action result in a reduction of existing or required access to or along coastal waters,
public access areas, or public parks or open spaces? (8)
43. Will the proposed project affect or be located in, on, or adjacent to any federal, state, or city
park or other land in public ownership protected for open space preservation? (8)
44. Would the action result in the provision of open space without provision for its maintenance?
(8.1)
45. Would the action result in any development along the shoreline but NOT include new water-
enhanced or water-dependent recreational space? (8.2)
46. Will the proposed project impede visual access to coastal lands, waters and open space? (8.3)
47. Does the proposed project involve publicly owned or acquired land that could accommodate
waterfront open space or recreation? (8.4)
48. Does the project site involve lands or waters held in public trust by the state or city? (8.5)
49. Would the action affect natural or built resources that contribute to the scenic quality of a
coastal area? (9)
50. Does the site currently include elements that degrade the area’s scenic quality or block views
to the water? (9.1)
✔
✔
✔
✔
✔
✔
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APPENDIX II
LPC DETERMINATION LETTER
ENVIRONMENTAL REVIEW
Project number: DEPARTMENT OF CITY PLANNING / 77DCP266Q Project: SEAGIRT BLVD REZONING Date received: 6/3/2015
Properties with no Architectural or Archaeological significance:
1) ADDRESS: 24-00 SEAGIRT BOULEVARD, BBL: 4157840001, PROPERTY
NAME: PARCEL 1
2) ADDRESS: SEAGIRT AVENUE, BBL: 4156200001, PROPERTY NAME: PARCEL 2
3) ADDRESS: SEAGIRT AVENUE, BBL: 4156200011
6/5/2015
SIGNATURE DATE
Gina Santucci, Environmental Review Coordinator
File Name: 30395_FSO_GS_06052015.doc
APPENDIX III
JAMAICA BAY WATERSHED
*
* While vegetaion would be removed on Parcel 1, the vegetation to be removed are non-native species.
APPENDIX IV
HAZARDOUS MATERIALS
Phase I Environmental
Site Assessment Property Described as: Vacant Land, Block 15784, Lot 1 Queens, New York Prepared For: Gleitman Realty Associates 124 Cedarhurst Avenue Cedarhurst, New York 11516 Prepared By: GEI Consultants, Inc., P. C. 110 Walt Whitman Road, Suite 204 Huntington Station, New York 11746 631.760.9300 October 2014 1410170A
Geotechnical Environmental and
Water Resources Engineering
Phase I Environmental Site Assessment Vacant Land, Block 15784, Lot 1 Queens, New York October 2014
GEI Consultants, Inc., P. C. iii
Executive Summary
The findings of this Phase I Environmental Site Assessment (ESA) are based on the following: visual inspection of the project site, visual survey of adjacent/contiguous and nearby properties, and review of available historical property and environmental regulatory agency records of the project site.
The project site is located at the northwest corner of the intersection at Fernside Place and Sea Girt Boulevard, in the Borough of Queens, New York City, New York (Figure 1). The New York City Tax Map identification numbers associated with the project site are Block 15874, Lot 1.
At the time of GEI’s site inspection, the site was vacant and undeveloped. Chain link fencing surrounds the entire project site. The site was primarily covered with grass and was well cared for.
According to Mr. Russell Maly, the caretaker of the project site, he has been overseeing this site for approximately 25 years. He mentioned that a dilapidated 2-story structure was situated on the project site when he started working for the property owner and he stated that to the best of his knowledge it was at one time utilized as an out-patient clinic. He was inside the building once to make sure it was completely vacated before it was boarded up and sealed.
No visual evidence for any industrial dumping, stained soils, stressed vegetation, tanks, or drums that might result in the significant contamination of the project site was observed during GEI’s October 2, 2014 site inspection. No operations involving the use of toxic or hazardous materials were present on the project site at the time of the site assessment.
GEI’s analysis of historical information indicates that from at least 1933 the site had been occupied by a 3-story structure that was constructed as a hotel and later had been utilized as a community center/clinic. The building was demolished sometime between 1980 and 1983.
An unidentified cement cover is located on the southeastern quadrant of the project site. This may be associated with an old cesspool. Given the historical use of the former building as a hotel and then as a community center/clinic, it is GEI’s opinion that if any discharges were made to this cesspool they would be unlikely to have impacted the underlying soils.
The project site is adjoined primarily by residential dwellings. No gasoline filling stations, auto repair facilities, or heavy manufacturing/industrial operations were identified adjacent/contiguous to the project site.
Phase I Environmental Site Assessment Vacant Land, Block 15784, Lot 1 Queens, New York October 2014
GEI Consultants, Inc., P. C. iv
The project site is not included in the following United States Environmental Protection Agency databases: Superfund or Comprehensive Environmental Response, Compensation, and Liability Act Information System, Emergency Response Notification System, Resource Conservation and Recovery Act Hazardous Waste Treatment/Storage/Disposal Facilities, and RCRA Hazardous Waste Handlers. There are no listings for the project site in the following NYSDEC databases: Chemical Bulk Storage, Brownfields, Inactive Hazardous Waste Disposal Site Registry, Solid Waste Facilities, Petroleum Bulk Storage and Major Oil Storage Facilities. Finally, the project site is not listed on the New York City Environmental Quality Review Requirements “E” Site database.
The project site is in a flood zone and is depicted on the Federal Emergency Management Act Flood Insurance Rate Map #360470382F. This map indicates that the property lies primarily in Zone X and a small portion of the southern boundary of the site lies in Zone AE. Zone AE is depicted as an area of the 1% annual flood that has a 1% chance of being equaled or exceeded in any given year. Zone X is depicted as an area of the 0.2% annual chance of flood.
Finally, no Recognized Environmental Conditions, Historical Recognized Environmental Conditions, or Controlled Recognized Environmental Conditions were identified for the project site.
Phase I Environmental
Site Assessment Property Described as: Vacant Land, Block 15620, Lots 1 & 11 Queens, New York Prepared For: Gleitman Realty Associates 124 Cedarhurst Avenue Cedarhurst, New York 11516 Prepared By: GEI Consultants, Inc., P. C. 110 Walt Whitman Road, Suite 204 Huntington Station, New York 11746 631.760.9300 October 2014 1410170B
Geotechnical Environmental and
Water Resources Engineering
Phase I Environmental Site Assessment Vacant Land, Block 15520, Lots 1 & 11 Queens, New York October 2014
GEI Consultants, Inc., P. C. iii
Executive Summary
The findings of this Phase I Environmental Site Assessment (ESA) are based on the following: visual inspection of the project site, visual survey of adjacent/contiguous and nearby properties, and review of available historical property and environmental regulatory agency records of the project site.
The project site is located at the southeast corner of the intersection at Beach 13th Street and Heyson Road, in the Borough of Queens, New York City, New York (Figure 1). The New York City Tax Map identification numbers associated with the project site are Block 15620, Lots 1 and 11.
At the time of GEI’s site inspection, the site was vacant and undeveloped. Chain link fencing surrounds the entire project site. The site was primarily covered with grass and was well cared for.
According to Mr. Russell Maly, the caretaker of the project site, he has been overseeing this site for approximately 30 years and to the best of his knowledge, the site has never been developed. He mentioned that he keeps the grass short and the property clean to prevent the City of New York from issuing fines.
No visual evidence for any industrial dumping, stained soils, stressed vegetation, tanks, or drums that might result in the significant contamination of the project site was observed during GEI’s October 2, 2014 site inspection. No operations involving the use of toxic or hazardous materials were present on the project site at the time of the site assessment.
GEI’s analysis of historical information indicates that the site had been partially occupied by two residential dwellings from circa 1933 until sometime before 1955. After 1955, the project site had been clearly developed into how it is physically shaped as a triangle, as a result of the development/widening of Sea Girt Boulevard. Since 1955, there have been no buildings/structures on the project site.
No drainage systems or evidence of underground storage tanks were observed at the time of GEI’s site inspection.
The project site is adjoined primarily by residential dwellings and a private school. No gasoline filling stations, auto repair facilities, or heavy manufacturing/industrial operations were identified adjacent/contiguous to the project site.
The project site is not included in the following United States Environmental Protection Agency databases: Superfund or Comprehensive Environmental Response, Compensation,
Phase I Environmental Site Assessment Vacant Land, Block 15520, Lots 1 & 11 Queens, New York October 2014
GEI Consultants, Inc., P. C. iv
and Liability Act Information System, Emergency Response Notification System, Resource Conservation and Recovery Act Hazardous Waste Treatment/Storage/Disposal Facilities, and RCRA Hazardous Waste Handlers. There are no listings for the project site in the following New York State Department of Environmental Conservation databases: Chemical Bulk Storage, Brownfields, Inactive Hazardous Waste Disposal Site Registry, Solid Waste Facilities, Petroleum Bulk Storage and Major Oil Storage Facilities. Finally, the project site is not listed on the New York City Environmental Quality Review Requirements “E” Site database.
The project site lies in Zone AE, an area of the 1% annual flood that has a 1% chance of being equaled or exceeded in any given year, on the Federal Emergency Management Act Flood Insurance Rate Map #360470401F.
Finally, no Recognized Environmental Conditions, Historical Recognized Environmental Conditions, or Controlled Recognized Environmental Conditions were identified for the project site.
Phase II Environmental Subsurface Investigation
Seagirt Boulevard Rezoning
CEQR #77DCP266Q Block 15784, Lot 1 and Block 15620, Lots 1 and 11 Queens, New York
Submitted to:
Gleitman Realty Associates 60 Montgomery Boulevard Atlantic Beach, New York 11509
Submitted by:
GEI Consultants, Inc., P. C. 110 Walt Whitman Road, Suite 204 Huntington Station, NY 11746 631.760.9300
February 2016 Project 1514910 Richard Fasciani Environmental Practice Leader Nicholas J. Recchia, PG Environmental Practice Leader Hydrogeologist
Consulting
Engineers and
Scientists
Phase II Environmental Subsurface Investigation Seagirt Boulevard Rezoning CEQR #77DCP266Q Block 15784, Lot 1 and Block 15620, Lots 1 and 11 Queens, New York February 2016
GEI Consultants, Inc. iii
Executive Summary
GEI Consultants, Inc., P. C. (GEI) was retained by Gleitman Realty Associates to perform a Phase II Environmental Subsurface Investigation (ESI) on two parcels of land (Parcel 1; Block 15784, Lot 1 and Parcel 2; Block 15620, Lots 1 and 11) associated with the Seagirt Boulevard Rezoning project. Information regarding the site conditions was obtained from Phase I Environmental Site Assessments (ESAs), performed by GEI, in November 2015. Based upon the findings of the Phase 1 ESAs, the New York City Department of Protection (NYCDEP) had determined that a Phase II Environmental Site Assessment should be performed to adequately identify/characterize the surface and subsurface soils on the subject parcels. A Phase II Investigation Work Plan and Health and Safety Plan was prepared in November 2015 and submitted to the NYCDEP for approval. NYCDEP approval was granted on December 11, 2015. The purpose of this investigation is to determine the quality of on-site soil vapor, soil and groundwater. This report summarizes the work performed, results of the investigation, comparison to relevant regulatory standards and/or guidelines and recommendations for further testing or remedial action required.
A total of eleven (11) soil test borings were completed during the investigation. Seven (7) soil test borings were performed on Parcel 1 (Block 15784, Lot 1) and four (4) soil test borings will be performed on Parcel 2 (Block 15620, Lots 1 and 11). A total of 22 soil samples were collected. One soil sample was collected at each boring location from the 0-2 foot depth and a second deeper soil sample at a depth just above the groundwater elevation from the same soil boring location. The soil samples were collected and submitted to a New York State Department of Health (NYSDOH) Environmental Laboratory Approval Program (ELAP) certified laboratory and tested for Volatile Organic Compounds (VOCs) by United States Environmental Protection Agency (USEPA) Method 8260, Semi-Volatile Organic Compounds (SVOCs) by USEPA Method 8270 B/N, Pesticides/Polychlorinated Biphenyls (PCBs) using USEPA Method 8081/8082, and Target Analyte List (TAL) Metals.
The depth to groundwater was found between 5 and 8 feet below surface grade elevation. A total of six (6) temporary groundwater monitoring wells were completed. Three (3) groundwater samples were collected at each Parcel location (1 upgradient and 2 downgradient) to evaluate the underlying groundwater quality. The groundwater samples were collected and submitted to a NYSDOH ELAP certified laboratory and tested for VOCs by USEPA Method 8260, SVOCs by USEPA Method 8270 B/N, Pesticides/PCBs using USEPA Method 8081/8082, TAL Metals (filtered and unfiltered).
Phase II Environmental Subsurface Investigation Seagirt Boulevard Rezoning CEQR #77DCP266Q Block 15784, Lot 1 and Block 15620, Lots 1 and 11 Queens, New York February 2016
GEI Consultants, Inc. iv
Seven (7) soil vapor probe samples and two (2) outdoor air samples were completed using Summa Canisters and tested for VOCs to determine if any potential soil vapor impacts could be expected in the proposed building development.
Conclusions
Parcel 1; Block 15784, Lot 1
A geophysical investigation was conducted during the investigation which identified a underground storage tank (UST) fill port and underground anomaly on the western side of the property. This UST is suspected to be a former fuel oil storage tank associated with the prior building structure. Urban fill soils containing SVOCs and total metals above Soil Cleanup Objectives (SCOs) were identified. The concentrations found are relatively low level and typical for the metropolitan New York area. Groundwater quality was not found to be impacted by historical site use or prior occupant operations. Low level metals were found in groundwater and can be attributable to the presence of urban fill soil conditions and sea water intrusion. Results of the soil vapor investigation did not identify any chlorinated compounds. Soil vapors containing hydro-carbon based compounds were found above laboratory detection limits. These compounds are likely partially derived from the urban fill soil and ambient air sources since the outdoor air sample collected also identified some similar compounds.
Parcel 2; Block 15620, Lots 1 and 11
The investigation did not identify soil, groundwater, or soil vapor chemical compounds above typical background conditions. Low level metals (magnesium, manganese and sodium) concentrations identified in groundwater are comparable to typical sea water concentrations. The property is near the Atlantic Ocean and it is likely that groundwater has been intruded by sea water as shown by the elevated manganese, magnesium, and sodium concentrations. Soil vapor compounds identified are likely partially derived from ambient air sources from vehicular traffic on Seagirt Boulevard since the outdoor air sample collected also identified some similar compounds.
Recommendations
It is recommended that the UST identified on Parcel 1 be properly closed, removed and disposed in accordance with New York State Department of Environmental Conservation (NYSDEC) petroleum bulk storage guidelines. Any exported urban fill soils should be handled and disposed in accordance with NYSDEC guidelines and recommendations.
Phase II Environmental Subsurface Investigation Seagirt Boulevard Rezoning CEQR #77DCP266Q Block 15784, Lot 1 and Block 15620, Lots 1 and 11 Queens, New York February 2016
GEI Consultants, Inc. v
A Remedial Action Plan (RAP) should be prepared detailing the management requirements for UST removal and for the export of urban fill during the remedial action. A Construction Health and Safety Plan (CHASP) should be prepared and followed during the remedial action to protect site workers.
Subject: FW: Seagirt Blvd (Revised RAP and CHASP): Request for CEQR # 16DCP133Q Reference #16DCP133Q‐14‐18052016100532From: "Christopher Lee (DCP)" <[email protected]>Date: 5/19/2016 11:30 AMTo: 'Norabelle Greenberger' <[email protected]>
Hi Norabelle,
Per DEP’s sign off, please revise the conclusion for hazardous materials to include the specified language below.
Thanks,Chris
From: Yu, Wei [mailto:[email protected]]Sent: Thursday, May 19, 2016 11:18 AMTo: Christopher Lee (DCP) <[email protected]>; Robert Dobruskin (DCP) <[email protected]>; OlgaAbinader (DCP) <[email protected]>Cc: Winter, Maurice <[email protected]>; Estesen, Terrell <[email protected]>; Wimbish, Mitchell<[email protected]>Subject: RE: Seagirt Blvd (Revised RAP and CHASP): Request for CEQR # 16DCP133Q Reference # 16DCP133Q‐14‐18052016100532
Chris,
Based upon our review of the submi ed documenta on, we have the following comments and recommenda ons toDCP:
DEP finds the May 2016 revised RAP and CHASP for the proposed project acceptable. DCP should instruct the applicantthat at the comple on of the project, a Professional Engineer (P.E.) cer fied Remedial Closure Report should besubmi ed to DEP for review and approval for the proposed project. The P.E. cer fied Remedial Closure Report shouldindicate that all remedial requirements have been properly implemented (i.e., installa on of vapor barriers;transporta on/disposal manifests for removal and disposal of soil in accordance with NYSDEC regula ons; and two feetof DEP approved cer fied clean fill/top soil capping requirement in any landscaped/grass covered areas not cappedwith concrete/asphalt, etc.).
Please let us know if you have any ques ons. Thanks.
________________________________________________Wei Yu | Project Manager | NYC Environmental ProtectionBureau of Sustainability | Site Assessment(O) 718 595-4358 | [email protected]
From: Christopher Lee (DCP) [mailto:[email protected]]Sent: Wednesday, May 18, 2016 10:31 AMTo: Estesen, Terrell <[email protected]>; Wimbish, Mitchell <[email protected]>Cc: Yu, Wei <[email protected]>Subject: Seagirt Blvd (Revised RAP and CHASP): Request for CEQR # 16DCP133Q Reference # 16DCP133Q‐14‐18052016100532Importance: High
FW:SeagirtBlvd(RevisedRAPandCHASP):RequestforCEQR#16D...
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APPENDIX V
TRAVEL DEMAND FORECAST MEMORANDUM
Philip Habib & Associates Engineers and Planners • 102 Madison Avenue • New York, NY 10016 • 212 929 5656 • 212 929 5605 (fax)
TECHNICAL MEMORANDUM
TO: NYCDCP; NYCDOT
FROM: Philip Habib & Associates
DATE: May 8, 2015
PROJECT: Seagirt Boulevard Rezonings EAS
RE: Transportation Planning Factors
Gleitman Realty Associates (the applicant), is seeking approval for a zoning map amendment (the “proposed action”) to rezone two vacant parcels in the Far Rockaway neighborhood of Queens, NY. The subject parcels – Parcels 1 and 2 – are approximately 29,235 sf and 17,374 sf in area, respectively. Parcels 1 & 2, under the reasonable worst-case development scenario (RWCDS), would be developed with a total of approximately 43,873 gross square feet (gsf), including approximately 31,850 gsf of residential floor area (27 dwelling units (DUs)), approximately 12,023 gsf of retail floor area, and 59 accessory parking spaces.
As shown in Figure 1, Parcel 1 (Queens Block 15784, Lot 1) is fronted by Seagirt Boulevard to the south, Fernside Place to the east, and Watjean Court to the north. To the west, the lot abuts a set of one- and two-family residential buildings. An approximately 5,629 gsf single-story retail building and a five-story residential building with approximately 27 DUs are planned on the site. In addition, 14 and 29 accessory surface parking spaces would be dedicated for the retail and residential uses, respectively.
Parcel 2 (Queens Block 15620, Lots 1 and 11) is a narrow triangular block bordered by Seagirt Boulevard to the south, Heyson Road to the north, and Beach 13th Street to the west. A single story retail building (6,394 gsf) with 16 parking spaces is planned for the site.
Seagirt Boulevard is a two-way six lane major roadway with a central planted median and parking on both sides. Watjean Court and Fernside Place are local residential one-way (westbound) and two-way (northbound/southbound) streets, respectively. Heyson Road and Beach 13th Street serve local two-way traffic in the eastbound/westbound and northbound/southbound directions, respectively.
Several public transportation facilities serve the surrounding area. The 25th Street (A line) Station is located approximately 0.3 miles to the northwest of Parcel 1 and the Far Rockaway-Mott Avenue (A line) Station is located approximately 0.9 miles to the northwest of Parcel 2. The Q22 and Q113 New York City Transit (NYCT) local bus routes and the QM17 NYCT express bus route run along Seagirt Boulevard, along with the N31, N32, and N33 Nassau Inter-County Express (NICE) buses, which connect the Far Rockaways to Nassau County, to the east.
-Page 1-
Seagirt Boulevard Rezonings Travel Demand Forecast Memorandum Figure 1
Project Location
Parcel 1
Parcel 2
Beach 25th St (A) Station
Far Rockaway – Mott Ave (A) Station
Seagirt Boulevard Rezonings EAS – Travel Demand Forecast Memorandum May 8, 2015
Travel Demand Factors The transportation planning factors used to forecast travel demand for the RWCDS land uses (local retail and residential) are summarized in Table 1 and discussed below. The trip generation rates, temporal distributions, modal splits, vehicle occupancies, and truck trip factor each of land use were primarily based on those cited in the 2014 City Environmental Quality Review (CEQR) Technical Manual, the 2008 Rockaway Neighborhood Rezoning EAS, and 2009-2013 5-year American Community Survey (ACS) journey-to-work data. Factors are shown for the weekday AM, midday, and PM and Saturday midday peak periods. Retail The person trip generation rates and temporal distributions for local retail use were based on data from the 2014 CEQR Technical Manual. The directional in/out splits and vehicle occupancy rates were based on the Rockaway Neighborhood Rezoning EAS. The modal splits were also based on the Rockaway Neighborhood Rezoning EAS, however, to account for the distance to and from the development sites and the nearest subway stations, a reduction in the subway usage rate was applied. Thus, it was assumed that automobile and bus transit usage rates would be higher as the subway stations nearest Parcel 1 (25th Street Station) and Parcel 2 (Far Rockaway-Mott Avenue Station) are an approximately seven and 16 minute walk away, respectively. Truck trip generation rates and temporal distributions were based on data from the CEQR Technical Manual. For the purpose of the travel demand forecast, it was assumed that ten percent of local retail trips would be linked trips. Residential The residential travel demand forecasts were based on person trip and truck trip generation rates and temporal distributions cited in the 2014 CEQR Technical Manual. The directional in/out splits were based on data from the Rockaway Neighborhood Rezoning EAS. Modal splits and auto occupancy rates were derived from 2009-2013 5-year ACS journey-to-work data for Queens Census tracts 998.0 and 998.02. Trip Generation As the two development sites (Parcels 1 and 2) are located over half a mile apart, and are therefore expected to experience separate travel patterns with minimal to no overlap, separate travel demand forecasts were prepared for the two proposed developments using the transportation planning factors outlined above. Table 2 presents the person and vehicle trips expected to be generated by development on Parcels 1 and 2, respectively, as a result of the proposed action. Development on Parcel 1 would generate approximately 54, 210, 128, and 144 person trips in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Development on Parcel 2 is expected to generate approximately 36, 224, 118, and 138 person trips in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Under the RWCDS, total development facilitated by the proposed action would generate approximately 90 person trips in the weekday AM, 434 in the weekday midday, 246 in the weekday PM, and 282 in the Saturday midday peak hours. Transportation demand by mode is discussed in detail below.
-Page 2-
Seagirt Boulevard Rezonings EAS – Travel Demand Forecast Memorandum May 8, 2015
TABLE 1 Travel Demand Forecast Assumptions
Land Use:
Size/Units: Parcel 1: 5,629 gsf 27 DUParcel 2: 6,394 gsf 0 DU
Trip Generation:WeekdaySaturday
Temporal Distribution:AMMDPMSatMD
Modal Splits:AutoTaxiSubwayBusWalk/Other
In/Out Splits: In Out In OutAM 50% 50% 20.0% 80.0%MD 50% 50% 50.0% 50.0%PM 50% 50% 65.0% 35.0%Sat MD 50% 50% 50.0% 50.0%
Vehicle Occupancy:AutoTaxi
Truck Trip Generation:
AMMDPMSat MD
In Out In OutAM/MD/PM 50.0% 50.0% 50.0% 50.0%
Notes :
( 1) 2014 City Environmental Quality Review (CEQR) Technical Manual.
( 2) Rockaway Neighborhood Rezoning EAS (2008). Adjusted to reduce subway and increase auto and bus shares.
( 3)
11.0%
Modal split data and vehicle occupany based on ACS 2009-2013 Means of Transportation to work for Queens census tracts 998.0 and 998.02.
8.0%11.0%2.0%
9.0%2.0%9.0%12.0%
( 1)
per DU0.06( 1)
1.41.07( 3)
( 2)
100.0%
10.9%17.8%30.7%0.9%39.7%
AM/MD/PM( 3)
( 1)
8.0759.600
per DU
( 1)
10.0%5.0%11.0%8.0%
Local Retail Residential
205240
per 1,000 sf
( 1)
( 1)
3.0%19.0%10.0%10.0%
( 2)
AM/PM/SAT10.0%0.0%10.0%10.0%70.0%
100.0%
( 2)
( 2)
( 1)
1.651.40
( 1)
0.35per 1,000 sf
-Page 3-
Seagirt Boulevard Rezonings EAS – Travel Demand Forecast Memorandum May 8, 2015
Traffic As shown in Table 2, development on Parcel 1 would generate 12, 16, 15, and 16 vehicle trips in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Development on Parcel 2 is expected to generate two, 16, eight, and ten vehicle trips in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Under the RWCDS, total development facilitated by the proposed action would generate a total of 14 vehicle trips in the weekday AM, 32 in the weekday midday, 23 in the weekday PM, and 26 in the Saturday midday peak hours. Per CEQR Technical Manual Level 1 (Trip Generation) Screening Assessment guidelines, further traffic analysis is not warranted as development facilitated by the proposed action would not generate more than 50 vehicle trips in any of the four peak hours. Parking As discussed above, a total of 59 off-street parking spaces are planned for the two development parcels – 43 spaces on Parcel 1 and 16 spaces on Parcel 2. The number of spaces dedicated for each land use meets the zoning requirements – a total of 53 spaces (53 on Parcel 1 and 16 on Parcel 2) is required. Additionally, the 2014 CEQR Technical Manual states that if a detailed traffic analysis is warranted, a Level 2 (Action-Generated Trip Assignment) Screening Assessment may likely be warranted. Therefore, as a Level 2 Screening Assessment of traffic is not warranted and planned off-street parking on the development sites is expected to accommodate all action-generated parking demand, a detailed parking analysis is not warranted. Transit As shown in Table 2, development on Parcel 1 would generate ten, 24, 18, and 18, subway trips in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Bus-only trips associated with Parcel 1 are expected to be eight, 22, 14, and 16 in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Development on Parcel 2 is expected to generate two, 18, ten, and 12 subway trips in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Bus-only trips associated with Parcel 2 are expected to be four, 22, 12, and 14 in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Under the RWCDS, total development facilitated by the proposed action would generate a total of 12 subway trips in the weekday AM, 42 in the weekday midday, 28 in the weekday PM, and 30 in the Saturday midday peak hours. The proposed action would also generate a total of 12 bus-only trips in the weekday AM, 44 in the weekday midday, 26 in the weekday PM, and 30 in the Saturday midday peak hours. Per CEQR Technical Manual Level 1 Screening Assessment guidelines, further transit analysis is not warranted as development facilitated by the proposed action would not generate more than 200 transit-oriented trips in any of the four peak hours. Pedestrians As shown in Table 2, development on Parcel 1 would generate 22, 140, 77, and 90 walk-only trips in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Pedestrian trips (including walk-only and walk trips en route to/from subway and bus stops) associated with Parcel 1 are expected to total 40, 186, 109, and 124 in the weekday AM, midday, and PM and Saturday midday peak hours, respectively.
-Page 4-
Seagirt Boulevard Rezonings EAS – Travel Demand Forecast Memorandum May 8, 2015
TABLE 2 Travel Demand Forecast
Note: 10 percent linked trip applied to local retail use.
Land Use:
Size/Units: 5,629 gsf 27 DU 6,394 gsf
Peak Hour Trips:AMMDPMSat MD
Person Trips:In Out In Out In Out In Out In Out
AM Auto 2 2 3 7 5 9 2 2 7 11Taxi 0 0 0 0 0 0 0 0 0 0Subway 2 2 1 5 3 7 1 1 4 8Bus 2 2 1 3 3 5 2 2 5 7Walk/Other 10 10 0 2 10 12 13 13 23 25Total 16 16 5 17 21 33 18 18 39 51
In Out In Out In Out In Out In OutMD Auto 10 10 2 2 12 12 13 13 25 25
Taxi 0 0 0 0 0 0 0 0 0 0Subway 10 10 2 2 12 12 9 9 21 21Bus 10 10 1 1 11 11 11 11 22 22Walk/Other 69 69 1 1 70 70 79 79 149 149Total 99 99 6 6 105 105 112 112 217 217
In Out In Out In Out In Out In OutPM Auto 5 5 6 3 11 8 7 7 18 15
Taxi 0 0 0 0 0 0 0 0 0 0Subway 5 5 5 3 10 8 5 5 15 13Bus 5 5 3 1 8 6 6 6 14 12Walk/Other 37 37 2 1 39 38 41 41 80 79Total 52 52 16 8 68 60 59 59 127 119
In Out In Out In Out In Out In OutSat MD Auto 6 6 4 4 10 10 8 8 18 18
Taxi 0 0 0 0 0 0 0 0 0 0Subway 6 6 3 3 9 9 6 6 15 15Bus 6 6 2 2 8 8 7 7 15 15Walk/Other 43 43 2 2 45 45 48 48 93 93Total 61 61 11 11 72 72 69 69 141 141
Vehicle Trips :In Out In Out In Out In Out In Out
AM Auto (Total) 1 1 3 7 4 8 1 1 5 9Taxi 0 0 0 0 0 0 0 0 0 0Taxi Balanced 0 0 0 0 0 0 0 0 0 0Truck 0 0 0 0 0 0 0 0 0 0Total 1 1 3 7 4 8 1 1 5 9
In Out In Out In Out In Out In OutMD Auto (Total) 6 6 2 2 8 8 8 8 16 16
Taxi 0 0 0 0 0 0 0 0 0 0Taxi Balanced 0 0 0 0 0 0 0 0 0 0Truck 0 0 0 0 0 0 0 0 0 0Total 6 6 2 2 8 8 8 8 16 16
In Out In Out In Out In Out In OutPM Auto (Total) 3 3 6 3 9 6 4 4 13 10
Taxi 0 0 0 0 0 0 0 0 0 0Taxi Balanced 0 0 0 0 0 0 0 0 0 0Truck 0 0 0 0 0 0 0 0 0 0Total 3 3 6 3 9 6 4 4 13 10
In Out In Out In Out In Out In OutSat MD Auto (Total) 4 4 4 4 8 8 5 5 13 13
Taxi 0 0 0 0 0 0 0 0 0 0Taxi Balanced 0 0 0 0 0 0 0 0 0 0Truck 0 0 0 0 0 0 0 0 0 0Total 4 4 4 4 8 8 5 5 13 13
224118138
Parcel 2
Total
90434246282
RWCDS(Parcel 1 & 2)
54
Local Retail
36
122 22 144
Parcel 1
198 12 210104 24 128
Local Retail Residential Total
32 22
-Page 5-
Seagirt Boulevard Rezonings EAS – Travel Demand Forecast Memorandum May 8, 2015
Development on Parcel 2 is expected to generate 26, 158, 82, and 96 walk-only trips in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Pedestrian trips (including walk-only and walk trips en route to/from subway and bus stops) associated with Parcel 2 are expected to total 32, 198, 104, and 122 in the weekday AM, midday, and PM and Saturday midday peak hours, respectively. Under the RWCDS, total development facilitated by the proposed action would generate a total of 48 walk-only trips in the weekday AM, 298 in the weekday midday, 159 in the weekday PM, and 186 in the Saturday midday peak hours. A total of 72 pedestrian trips in the weekday AM, 384 in the weekday midday, 213 in the weekday PM, and 246 in the Saturday midday peak hours are expected to be generated. Per CEQR Technical Manual Level 1 Screening Assessment guidelines, the action-generated pedestrian trips would exceed the Level 1 threshold of 200 action-generated pedestrian trips during the weekday midday and PM and Saturday midday peak hours. However, as the two development sites – Parcels 1 and 2 – are located over half a mile apart, they are expected to experience distinct travel patterns and demand distributions. As a result, trip overlapping is unlikely to occur. Therefore, in general, pedestrian demand and trip routes associated with each development should be considered exclusive. As discussed above, Parcels 1 and 2 are each expected to generate pedestrian demand below 200 during the weekday AM, midday, and PM; and Saturday midday peak hours. Therefore, although aggregate pedestrian trips generated by the two development sites would exceed the 200 or more peak hour trip threshold, no pedestrian element within the vicinity of the rezoning’s development sites is expected to be traversed by 200 or more action-generated pedestrians and an a quantitative pedestrian analysis is not warranted.
-Page 6-
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